United States District Court, D. Nevada
WATKINS & LETOFSKY, LLP, Daniel R. Watkins Brian S.
Letofsky Attorneys for Plaintiff Lynn Kaplan
OGLETREE, DEAKINS, NASH, SMOAK & STEWART, P.C. Anthony L.
Martin Jill Garcia Marcus B. Smith Attorneys for Defendants
Eldorado Resorts Corporation, and Michael Marrs
STIPULATION AND ORDER TO EXTEND TIME TO FILE
DISPOSITIVE MOTIONS AND RESPONSES AND REPLIES
Lynn Kaplan (“Plaintiff”) and Defendants Eldorado
Resorts Corporation and Michael Marrs (collectively
“Defendants”), by and through their undersigned
counsel, hereby stipulate and agree to this second request
for extension of time for the parties to file a response and
reply to the previously filed Dispositive Motion (ECF No.
57). Pursuant to the Stipulation and Order to Extend Time to
File Dispositive Motions, and Responses thereto (First
Request) (ECF No. 53), Defendants filed the Dispositive
Motion in this case on February 27, 2017 (ECF No. 57). The
parties have completed all discovery in this matter, and good
cause exists for the proposed extension based upon the
Court is aware, this case is one of over thirty related
lawsuits sitting before this Court. Recognizing the
complexity of litigating these lawsuits simultaneously, the
parties agreed to divide the cases into five groups and
stagger deadlines in order to streamline the litigation
process and avoid overlapping dispositive motion deadlines.
On December 28, 2016, the parties agreed to a comprehensive
briefing schedule for dispositive motions in the remaining
groups of cases. (ECF No. 53.) The current status of the
comprehensive briefing schedule is as follows:
• Defendants shall file dispositive motions by February
• Plaintiffs shall file oppositions by March 29, 2017.
• Defendants shall file replies by April 28, 2017.
• Defendants shall file dispositive motions by March 23,
• Plaintiffs shall file oppositions by April 24, 2017.
• Defendants shall file replies by May 24, 2017.