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Zamora-Yarine v. Sonesta International Hotels Corporation

Docket 2:24-cv-02120, Nevada District Court (Nov. 13, 2024)
Chief Judge Andrew P. Gordon, presiding, Magistrate Judge Elayna J. Youchah
Personal Injury - Other
DivisionLas Vegas
Cause28:1441 Petition for Removal- Personal Injury
Case Type360 Personal Injury - Other
Tags360 Personal Injury, Personal Injury, Tort, Civil, Other, 360 Personal Injury, Personal Injury, Tort, Civil, Other
DeadlineOn November 27, 2024, Defendants filed Statement regarding Removal (ECF No.7) in response to the Court’s Minute Order (ECF No. 3) . If the discovery period is calculated from the date Defendant filed its answer, the parties would not even have a full six month discovery period considering discovery would conclude by May 19, 2025.
DeadlineB. Amending the Pleadings and Adding Parties: The parties shall have until June 3, 2025
Plaintiff Odalys Zamora-Yarine
Defendant Sonesta International Hotels Corporation
Plaintiff Zamora-Yarine
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No. 9 ORDER Granting 8 Proposed Discovery Plan

Document Zamora-Yarine v. Sonesta International Hotels Corporation, 2:24-cv-02120, No. 9 (D.Nev. Jan. 4, 2025)
was held on 3rd day of January and was attended by Evan K. Simonsen, Esq. of CLARK LAW GROUP PLLC for Plaintiff ODALYS ZAMORA-YARINE (“Plaintiff”), Johnathan A. Rich, Esq. of COZEN O’CONNOR, for Defendant SONESTA INTERNATIONAL HOTELS CORPORATION “(Defendant”) (collectively, the “PARTIES”).
Accordingly, Plaintiff and Defendant will make their pre-discovery disclosures, including but not limited to any Computation(s) of Damages of lost wages, and past and future medical expenses required pursuant to FRCP 26(a)(i)(A)(iii), by January 17, 2025.
Plaintiff Odalys Yarine Zamora (hereinafter “Plaintiff”) commenced this action by filling a Complaint on September 24, 2024, in the Eight Judicial District Court Case Number A-24-902438-C naming Defendants Sonesta International Hotels Corporation, a foreign corporation dba Sonesta Simply Suites Las Vegas (hereinafter “Defendants”).
the possibility of using alternative dispute resolution processes, including mediation, arbitration, and, if applicable, early neutral evaluation.
Nevada Bar No. 15312 1180 N. Two Center Drive, Suite 260 Las Vegas, NV 89144 Attorneys for Defendant Sonesta International Hotels Corporation IT IS SO ORDERED this 4th day of January 2025.
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