RES Exhibit Services, LLC v. LNW Gaming, Inc. f/k/a SG Gaming, Inc. and f/k/a Bally Gaming, Inc.
Trial Court Opinion
1 Chad W. Flansburg, Esq. (Pro Hac Vice) [email protected] PHILLIPS LYTLE LLP East Main Street Suite 1400 Rochester, New York 14614-1935 Telephone: (585) 238-2009 Facsimile: (585) 232-3141 -and- David A. Carroll, Esq. (NSB #7643) [email protected] Anthony J. DiRaimondo, Esq. (NSB #10875) [email protected] Robert E. Opdyke, Esq. (NSB #12841) [email protected] RICE REUTHER SULLIVAN & CARROLL, LLP 3800 Howard Hughes Parkway, Suite 1200 Las Vegas, Nevada 89169 Telephone: (702) 732-9099 Facsimile: (702) 732-7110 Attorneys for Plaintiff/Counterdefendant RES Exhibit Services, LLC and Counterdefendants James Leonardo and Robert Reyes UNITED STATES DISTRICT COURT DISTRICT OF NEVADA RES EXHIBIT SERVICES, LLC, a New York limited liability company, Case No. 2:21-cv-01953-APG-EJY 17 Plaintiff, vs. LNW GAMING, INC. f/k/a SG GAMING, INC. f/k/a BALLY GAMING, INC., a Nevada corporation, Defendant.
21 LNW GAMING, INC. f/k/a SG STIPULATION AND ORDER TO GAMING, INC. f/k/a BALLY REDACT PORTIONS OF GAMING, INC., a Nevada corporation, TRANSCRIPT OF JANUARY 10, 2024 HEARING 23 Counterclaimant, 24 vs. RES EXHIBIT SERVICES, LLC, a New York limited liability company; JAMES LEONARDO, an individual; JERI WIEDEMER, an individual; and ROBERT REYES, an individual, 28 Counterdefendants.
1 The parties, by and through their undersigned respective counsel of record, hereby stipulate and agree as follows: 1. The Court previously entered an Order (ECF No. 91) providing guidance to the 4 parties with respect to appropriate redactions for filings made in connection with the 5 Motion to Stay Action and related filings, which reference the scope, substance, 6 subject matter or direction of an ongoing criminal investigation.
7 2. On January 10, 2024, the Court held oral argument on the Motion to Stay Action, 8 among other filings.
9 3. The Court allowed provisional sealing of the Transcript of Proceedings so the parties 10 could meet and confer on whether redactions were necessary and, if so, whether they 11 could agree on those redactions.
12 4. The parties have since met and conferred.
13 5. The parties have agreed upon certain redactions to the Transcript of Proceedings as 14 reflected in Exhibit “1” attached to this Stipulation and Order.
15 6. Subject to the Court’s approval, the parties stipulate and request that the Redacted 16 Version of the Transcript of Proceedings, attached hereto as Exhibit “1,” be filed by 17 the Clerk as the publicly available version of the Transcript of Proceedings from the 18 January 10, 2024 court hearing in this matter.
19 7. The parties submit that the proposed redactions comply with the requirements of the 20 Court’s prior Order (ECF No. 91) and the relevant case law. Center for Auto Safety v. 21 Chrysler Grp., LLC, 809 F.3d 1092, 1096-97 (9th Cir. 2016) (applying good cause 22 standard); Kamakana v. City & County of Honolulu, 447 F.3d 1172, 1179 (9th Cir. 2006) 23 (applying compelling reasons standard).
24 8. Because the proposed redactions only reference the direction or scope of the ongoing 25 criminal investigation, there does not appear to be a public interest in the redacted 26 information that outweighs the need for its protection.
1 9. Further, the redactions are limited in nature and will not hinder the public’s ability to 2 understand the judicial process in relation to this dispute.
3 DATED: this 6th day of February, 2024 DATED: this 6th day of February, 2024 RICE REUTHER SULLIVAN & CAMPBELL & WILLIAMS CARROLL, LLP By: /s/ Anthony J. DiRaimondo By: /s/ Philip S. Erwin Anthony J. DiRaimondo, Esq. Philip R. Erwin, Esq.
7 3800 Howard Hughes Parkway 710 South Seventh Street, Suite A Suite 1200 Las Vegas, NV 89101 Las Vegas, Nevada 89169 Attorneys for Defendant/Counterclaimant 9 LNW Gaming, Inc. f/k/a SG Gaming, Inc. -and- f/k/a Bally Gaming, Inc. Chad W. Flansburg, Esq. (Pro Hac 11 Vice) East Main Street 12 Suite 1400 Rochester, New York 14614-1935 Attorneys for 14 Plaintiff/Counterdefendant RES Exhibit Services, LLC and 15 Counterdefendants James Leonardo and Robert Reyes DATED: this 6th day of February, 2024 HOLLAND & HART LLP By: /s/ Erica C. Medley Erica C. Medley, Esq.
21 9555 Hillwood Drive, 2nd Floor Las Vegas, NV 89134 22 [email protected] Attorneys for Counterdefendant 23 Jeri Wiedemer ORDER IT IS SO ORDERED: 27 UNITED STATES MAGISTRATE JUDGE
Case-law data current through December 31, 2025. Source: CourtListener bulk data.