District Court, D. Nevada, 2022

Reiner, M.D. v. CVS Pharmacy, Inc.

Reiner, M.D. v. CVS Pharmacy, Inc.
District Court, D. Nevada · Decided August 2, 2022
Reiner, M.D. v. CVS Pharmacy, Inc.

Trial Court Opinion

1 | Mark H. Hutchings, Esq.

Nevada Bar No. 12783 | Jamie S. Hendrickson, Esq.

Nevada Bar No. 12770 | HUTCHINGS LAW GROUP 400 South 4" Street, Suite 550 | Las Vegas, Nevada 89101 Telephone: (702) 660-7700 | Facsimile: (702) 552-5202 [email protected] | [email protected] Attorneys for plaintiff Michael D. Reiner, M.D.

8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA MICHAEL __ D. REINER, M.D., A | PROFESSIONAL CORPORATION, a Nevada professional corporation Case No. 2:22-cv-00701-RFB-EJY Plaintiff, STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF’S RESPONSE TO v. DEFENDANT WALMART, INC.’S MOTION 13 TO STAY AND DEFENDANT SMITH’S FOOD CVS PHARMACY, INC., a Rhode Island | AND DRUG CENTERS, INC.’S JOINDER TO 14| Corporation; WALMART INC., a Delaware | MOTION TO STAY AND TO EXTEND TIME Corporation; SMITH’S FOOD & DRUG | FOR ALL DEFENDANTS’ REPLIES IN | CENTERS, INC., a Delaware Corporation; | SUPPORT OF ALL PENDING MOTIONS TO DOES I through X, inclusive; ROE BUSINESS | STAY 16] ENTITIES I through X, inclusive, [SECOND REQUEST] 17 Defendants.

18 Defendant WALMART, having filed its Motion to Stay Discovery (“Motion to Stay”) [ECF | No. 24] on July 5, 2022; 20 Defendant SMITH’S FOOD & DRUG CENTERS, INC., having filed its Joinder in | WALMART?’s Motion to Stay Discovery [ECF No. 24] Until There is a Decision on the Pending | Motions to Dismiss Filed by All Defendants (“Joinder to Motion to Stay”) [ECF No. 25] on July 11, | 2022; 24 Plaintiff's Responses to WALMART?’s Motion to Stay [ECF No. 24] and SMITH’S Joinder to | Motion to Stay are currently due on August 2, 2022, pursuant to Order [ECF No. 25]; 26 Plaintiff requires additional time to respond to WALMART’s Motion to Stay [ECF No. 24] and | SMITH’s Joinder to Motion to Stay [ECF No. 25], good cause exists, and the parties agree and STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF’S RESPONSE TO DEFENDANT WALMART, INC.’S MOTION TO STAY AND DEFENDANT SMITH’S FOOD AND DRUG CENTERS, INC.’S JOINDER TO MOTION TO STAY AND TO EFXTEND TIME FOR ATT, DEFENDANTS? REPLIES IN SUPPORT OFR ATT, PENDING | respectfully request a short extension of time to allow Plaintiff until August 9, 2022, to respond to the | Motion to Stay and Joinder to Motion to Stay; 3 Whereas this is the Plaintiff's second stipulation for an extension of time for Plaintiff to respond | to Defendants’ Motion to Stay and Joinder to Motion to Stay. Good cause exists for this request | because Plaintiff's Counsel had an urgent appearance in an unrelated state court matter requiring his | immediate attention and immediate subsequent briefing thereon, making it unlikely to meet his current | deadlines in this matter; 8 Additionally, if the stipulation is approved as to an extension of time to respond to Defendants’ | Motion to stay and Joinder to Motion to Stay, then Defendants’ replies in support of the Motion to Stay | and Joinder to Motion to Stay are both currently due on August 23, 2022. The parties agree and | respectfully request a short extension of time to August 30, 2022, in order that Defendants may prepare | replies to both motions, and good cause exists to grant this extension. This is the second request for an | extension of time for Defendants to file replies in support of the Motion to Stay and Joinder to Motion | to Stay [ECF No.24 and 25] 15 IT IS HEREBY STIPULATED AND JOINTLY REQUESTED by the parties that Plaintiff's | deadline to respond to WALMART’S Motion to Stay [ECF No. 24] and SMITH’s Joinder to Motion | to Dismiss [ECF No. 25] be extended to August 9, 2022; and, 18 IT IS HEREBY STIPULATED AND JOINTLY REQUESTED by the parties that Defendants’ | deadlines to file replies to all pending motions to stay and joiners thereto [ECF No. 24 and 25] be | extended to August 30, 2022.

23 | /// | /// STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF’S RESPONSE TO DEFENDANT WALMART, INC.’S MOTION TO STAY AND DEFENDANT SMITH’S FOOD AND DRUG CENTERS, INC.’S JOINDER TO MOTION TO STAY AND TO EFXTEND TIME FOR ATT, DEFENDANTS? REPLIES IN SUPPORT OFR ATT, PENDING 1 Dated this 2™ day of August 2022.

5 Respectfully submitted, 3 PETERSON BAKER, PLLC HUTCHINGS LAW GROUP By: _/s/ Tamara Peterson By: _/s/ Mark Hutchings 4 TAMARA BEATTY PETERSON, ESQ. Mark H. Hutchings, Esq.

Nevada Bar No. 5218 Nevada Bar No. 12783 5 [email protected] Jamie S. Hendrickson, Esq.

DAVID E. ASTUR, ESQ. Nevada Bar No. 12770 6 Nevada Bar No. 15008 400 S. 4th St., Suite 550 [email protected] Las Vegas, Nevada 89101 7 PETERSON BAKER, PLLC Telephone: 702.660.7700 S. 7th Street Facsimile: 702.552.5202 8 Las Vegas, NV 89101 [email protected] Telephone: 702.786.1001 Attorney for Plaintiff Michael D. Reiner, 9 Facsimile: 702.786.1002 M.D., A Professional Corporation 10 Attorneys for Defendant Walmart Inc. 11 COOPER LEVENSON, P.A. SALTZMAN MUGAN DUSHOFF By: /s/ Jerry Busby By: _/s/ Matthew Dushoff JERRY S. BUSBY, ESQ. MATTHEW T. DUSHOFF, ESQ.

13 Nevada Bar No. 1107 Nevada Bar No. 4975 [email protected] [email protected] 14 3016 West Charleston Blvd., Suite 195 1835 Village Center Circle Las Vegas, NV 89102 Las Vegas, NV 89143 15 Telephone: 702.366.1125 Telephone: 702.405.6122 Facsimile: 702.366.1857 Facsimile: 702.405.8501 Attorneys for Smith's Food & Drug Centers, Attorneys for CVS Pharmacy, Inc. Inc. 19 ORDER 20 IT IS SO ORDERED: 23 .

United States strate Judge 5 Dated: August 2, 2022 STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF’S RESPONSE TO DEFENDANT WALMART, INC.’S MOTION TO STAY AND DEFENDANT SMITH’S FOOD AND DRUG CENTERS, INC.’S JOINDER TO MOTION TO STAY AND TO EFXTEND TIME FOR ATT, DEFENDANTS? REPLIES IN SUPPORT OFR ATT, PENDING

Case-law data current through December 31, 2025. Source: CourtListener bulk data.