District Court, D. Nevada, 2024

Hawkins v. Aria Resort & Casino Holdings, LLC

Hawkins v. Aria Resort & Casino Holdings, LLC
District Court, D. Nevada · Decided August 16, 2024
Hawkins v. Aria Resort & Casino Holdings, LLC

Trial Court Opinion

1 Lawrence J. Semenza, III, Esq., Bar No. 7174 Email: [email protected] Katie L. Cannata, Esq., Bar No. 14848 Email: [email protected] SEMENZA RICKARD LAW 10161 Park Run Drive, Suite 150 Las Vegas, Nevada 89145 Telephone: (702) 835-6803 Facsimile: (702) 920-8669 Attorneys for Defendants 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA TAMIKA HAWKINS, individually, Case No. 2:23-cv-01018-JCM-NJK Plaintiff, 12 STIPULATION AND ORDER TO v. EXTEND TIME FOR DEFENDANTS TO 13 FILE THEIR REPLY BRIEF IN ARIA RESORT & CASINO HOLDINGS, SUPPORT OF MOTION TO DISMISS LLC, a domestic limited liability company; PLAINTIFF'S SECOND AMENDED KARINA HERNANDEZ; SEAN COMPLAINT [ECF NO. 75] RANDALL, 16 (First Request) Defendants.

19 Plaintiff Tamika Hawkins (“Plaintiff”) and Defendants Aria Resort & Casino Holdings, LLC, Karina Hernandez and Sean Randall (together "Defendants"), by and through their undersigned counsel of record, hereby stipulate and agree to the following: 22 1. On July 5, 2024, Defendants filed a Motion to Dismiss Plaintiff's Second Amended Complaint (the "Motion to Dismiss"). [ECF No. 75.]

24 2. On July 11, 2024, the parties stipulated to extend the deadline for Plaintiff's Response to the Motion to Dismiss by fourteen (14) days. [ECF No. 76.] The Court granted the parties' stipulation on August 2, 2024. [ECF No. 79.]

27 /// 1 3. Subsequently, on July 31, 2024, the parties entered into a second stipulation to || extend the deadline for Plaintiff's Response, up to and including August 9, 2024. [ECF No. 77.]

3 || The parties’ second stipulation was granted that same day. [ECF No. 78.]

4 4. Plaintiff filed her Response to Defendants’ Motion to Dismiss on August 9, 2024.

5 || [ECF No. 80.] Defendants' Reply brief is currently due on August 16, 2024.

6 5. While Defendants’ counsel has been diligently working on the Reply brief, they ||require additional time to confer with their client as to its contents before filing. As such, the g || parties hereby stipulate and agree that the deadline for Defendants’ Reply brief shall be extended || by one (1) week, up to and including August 23, 2024.

10 This Stipulation is made in good faith, and not for purposes of delay.

1] || Respectfully submitted this 15th day of August 2024.

CLARK HILL PLLC SEMENZA RICKARD LAW /s/_ Paola _M. Armeni /s/ Katie L. Cannata SQ 14 || PAOLA M. ARMENI LAWRENCE J. SEMENZA, III, ESQ. evada Bar No. evada Bar No. Nevada Bar No. 8357 Nevada Bar No. 7174 || 1700 S. Pavilion Center Drive, Suite #500 KATIE L. CANNATA, ESQ.

Las Vegas, Nevada 89135 Nevada Bar No. 14848 a2 16 1061 Park Run Drive, Suite 150 KAFOURY & McDOUGAL Las Vegas, Nevada 89145 ||JASON KAFOURY Attorneys for Defendants Oregon Bar No. 091200 |}411 SW 2" Avenue, Suite 200 Portland, Oregon 97204 || Attorneys for Plaintiff IT ISSO ORDERED. CB. (iu) Atalla UNITED STATES DISTRICT JUDGE DATED: August 16, 2024

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