NBK Innovation XIII, LLC et al v. Suavei, Inc. et al, No. 2:2022cv01415 - Document 43 (D. Nev. 2023)

Court Description: ORDER Granting 42 Stipulation to Schedule Settlement Conference, Stay Discovery and to Extend Discovery 90 Days after Settlement Conference. Signed by Magistrate Judge Brenda Weksler on 7/17/2023. (Copies have been distributed pursuant to the NEF - JQC)

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NBK Innovation XIII, LLC et al v. Suavei, Inc. et al Doc. 43 Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 1 of 8 1 2 3 4 5 6 7 8 9 Stewart C. Fitts (5635) HUTCHISON & STEFFEN, PLLC Peccole Professional Park 10080 West Alta Drive, Suite 200 Las Vegas, Nevada 89145 Tel: (702) 385-2500 Fax: (702) 385-2086 sfitts@hutchlegal.com Attorneys for Plaintiffs NBK INNOVATION XIII, LLC, DOJO VENTURES FUND II, LLC, SU FUND I, A SERIES OF INCISIVE VENTURES LP, ANTONIO SALERNO, SUSAN LEIBY, ALESSCO, INC. DEFINED BENEFIT PLAN, ROBERT HESS, AND MJ JAMIOLKOWSKI FLP UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 14 NBK INNOVATION XIII, LLC, DOJO VENTURES FUND II, LLC, SU FUND I, A SERIES OF INCISIVE VENTURES LP, ANTONIO SALERNO, SUSAN LEIBY, ALESSCO, INC. DEFINED BENEFIT PLAN, ROBERT HESS, AND MJ JAMIOLKOWSKI FLP, 15 Plaintiffs, 12 13 16 17 18 19 v. Case No.: 2:22-cv-01415-JAD-BNW STIPULATION AND ORDER TO SCHEDULE SETTLEMENT CONFERENCE, STAY DISCOVERY, AND TO EXTEND DISCOVERY 90 DAYS AFTER SETTLEMENT CONFERENCE (SECOND REQUEST) SUAVEI, INC., AFONSO INFANTE, AND ALLISON WONG, Defendants. 20 IT IS HEREBY STIPULATED AND AGREED between Plaintiffs NBK Innovation XIII, LLC, 21 DOJO Ventures Fund II, LLC, SU Fund I, a Series of Incisive Ventures LP, Antonio Salerno, Susan 22 Leiby, Alessco Inc. Defined Benefit Plan, Robert Hess, and MJ Jamiolkowski FLP (collectively, 23 “Plaintiffs”), and Defendant Allison Wong (“Defendant” or “Defendant Wong”), by and through their 24 undersigned counsel, that: (1) a settlement conference be scheduled with a Magistrate Judge; (2) 25 discovery be stayed to permit the parties to resolve this dispute without expending unnecessary 26 resources pending the settlement conference; and (3) if no resolution is achieved at the settlement 27 conference, the parties shall file a new proposed discovery plan and scheduling order within seven (7) 28 1 of 8 Dockets.Justia.com Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 2 of 8 1 days after the conclusion of the settlement conference, which shall extend the discovery for a period 2 of ninety (90) days from the date the settlement conference. 3 I. BACKGROUND 4 A. Procedural History 5 On December 19, 2022, the Court entered a Stipulated Discovery Plan and Scheduling Order 6 (ECF No. 23). On April 12, 2023, the Court entered a Stipulation and Order (ECF No. 41) with the 7 following deadlines that now govern: 8 Amend Pleadings/Add Parties: Closed 9 Initial Experts: Closed 10 Rebuttal Experts Closed 11 Discovery Cutoff: July 24, 2023 12 Dispositive Motions: August 23, 2023 13 Joint Pretrial Order: September 24, 2023 14 B. Substantive Proceedings to Date. 15 Plaintiffs believe they exercised due diligence in expending substantial time and resources 16 attempting to locate and serve process on another defendant in this matter, Afonso Infante. 17 Defendant Infante avoided service in various states, and Plaintiffs subsequently learned that said 18 defendant resides outside of the United States. After motion practice and a hearing, the Magistrate 19 Judge granted Plaintiffs’ motion to serve defendant Infante by alternative means (i.e., via a confirmed 20 email address used by Infante). 21 Plaintiffs subsequently effectuated service of process and obtained defaults against defendant 22 Suavei, Inc. and defendant Afonso Infante, respectively. Thereafter, Plaintiffs obtained: (1) a default 23 judgment against defendant Suavei, Inc. on February 14, 2023 (ECF No. 36); and (2) a default 24 judgment against defendant Infante on March 15, 2023 (ECF No. 39). 25 Defendant Wong timely responded to Plaintiffs’ Complaint. 26 C. Discovery Completed to Date 27 The parties believe they have exercised due diligence in conducting discovery in this complex 28 securities action under The Securities and Exchange Act of 1934, including third-party subpoena 2 of 8 Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 3 of 8 1 discovery that has been timing consuming and which the parties believe is necessary for further 2 discovery. This discovery has comprised approximately 11,000 pages of discovery documents, third- 3 party subpoenas, and twenty-five (25) total sets of interrogatories, requests for admission, and 4 requests for production of documents, including the following: 5 1. Plaintiffs Initial Rule 26 Disclosures on December 22, 2022. 6 2. Defendant Wong’s Initial Rule 26 Disclosures on December 22, 2022. 7 3. Plaintiffs First Supplemental Rule 26 Disclosures on March 8. 2023. 8 4. Plaintiffs’ Subpoena to Produce Documents, Information, or Objects or to Permit 9 Inspection of Premises in a Civil Action to Frank DeJoy on March 8, 2023. 10 5. Plaintiffs Second Supplemental Rule 26 Disclosures on April 21, 2023. 11 6. Plaintiff NBK Innovation XIII’s Responses to defendant Wong’s First Set of 12 Interrogatories, First Set of Requests for Production of Documents, and First Set of 13 Requests for Admissions on April 21, 2023. 14 7. Plaintiff DOJO Ventures Fund II, LLC’s Responses to defendant Wong’s First Set of 15 Interrogatories, First Set of Requests for Production of Documents, and First Set of 16 Requests for Admissions on April 21, 2023. 17 8. Plaintiff SU Fund I’s Responses to defendant Wong’s First Set of Interrogatories, First Set 18 of Requests for Production of Documents, and First Set of Requests for Admissions on 19 April 21, 2023. 20 9. Plaintiff Antonio Salerno’s Responses to defendant Wong’s First Set of Interrogatories, 21 First Set of Requests for Production of Documents, and First Set of Requests for 22 Admissions on April 21, 2023. 23 10. Plaintiff Susan Leiby’s Responses to defendant Wong’s First Set of Interrogatories, First 24 Set of Requests for Production of Documents, and First Set of Requests for Admissions on 25 April 21, 2023. 26 11. Plaintiff Alessco, Inc.’s Responses to defendant Wong’s First Set of Interrogatories, First 27 Set of Requests for Production of Documents, and First Set of Requests for Admissions on 28 April 21, 2023. 3 of 8 Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 4 of 8 1 12. Plaintiff Robert Hess’s Responses to defendant Wong’s First Set of Interrogatories, First 2 Set of Requests for Production of Documents, and First Set of Requests for Admissions on 3 April 21, 2023. 4 13. Plaintiff MJ Jamiolkowski FLP’s Responses to defendant Wong’s Plaintiff Robert Hess’s 5 Responses to defendant Wong’s First Set of Interrogatories, First Set of Requests for 6 Production of Documents, and First Set of Requests for Admissions on April 21, 2023. 7 14. Defendant Allison Wong’s Responses to Plaintiffs’ Plaintiff Robert Hess’s Responses to 8 defendant Wong’s First Set of Interrogatories, First Set of Requests for Production of 9 Documents, and First Set of Requests for Admissions on May 8, 2023. 10 15. Plaintiffs’ Third Supplemental Rule 26 Disclosures, including 9,096 pages of documents 11 12 received by plaintiffs via the third-party subpoena, on June 14, 2023. 16. Plaintiffs’ Subpoena to Produce Documents, Information, or Objects or to Permit 13 14 Inspection of Premises in a Civil Action to First Republic Bank. In sum, the parties have engaged in extensive discovery since the Court’s April 12, 2023 that 15 has included third-party subpoena discovery, the production of over 9,000 pages of documents, and 16 twenty-seven (27) sets of discovery responses. 17 D. Discovery that Remains to be Completed 18 Plaintiffs’ June 14, 2023 disclosure of over 9,000 pages subpoenaed documents from an out- 19 20 21 22 23 of-state witness requires additional time for the parties to adequately review. The following additional discovery is anticipated: 1. First Republic Bank’s outstanding response to Plaintiffs’ subpoena duces tecum, which is currently due on or about July 24, 2023. 2. The deposition of Frank DeJoy, an out-of-state witness whose subpoenaed document production of over 9,000 pages of documents was recently disclosed. 24 3. The deposition of defendant Wong. 25 4. The depositions of the individual plaintiffs. 26 5. The deposition of defendant Infante, who plaintiffs are seeking to locate outside the 27 United States. 6. 28 The deposition of non-party witnesses via subpoenas including, without limitation, Frank DeJoy. 4 of 8 Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 5 of 8 1 2 3 4 II. GROUNDS FOR EXTENSION Local Rule 26-3 governs this Stipulation requesting an extension of discovery deadlines. This Local Rule imposes a good cause standard to earn the extension: 7 A motion or stipulation to extend a deadline set forth in a discovery plan must be received by the Court no later than 21 days before the expiration of the subject deadline. A request made within 21 days of the subject deadline must be supported by a showing of good cause. A request made after the expiration of the subject deadline will not be granted unless the movant also demonstrates that the failure to act was the result of excusable neglect. 8 1. Good Cause Reasons for Extension 5 6 9 10 Due to the following, the current discovery deadline of July 24, 2023, has become unworkable and needs to be extended. 11 First, the parties agree that after conducting extensive written and third-party discovery, now is 12 a reasonable time to participate in a settlement conference with an experienced Magistrate Judge who 13 may assist them in resolving this dispute. This is particularly true given the remaining challenges, as 14 stated below, in scheduling remaining necessary discovery. 15 Second, the delay in receiving over 9,000 pages documents via a subpoena from an individual 16 out-of-state non-party witness curtailed plaintiffs’ ability to serve additional supplement disclosures to 17 Defendant. The subpoenaed documents have recently been disclosed to defendant Wong, and the 18 parties need adequate time to review this voluminous production of documents prior to the settlement 19 conference and, if necessary, conducting further discovery, including depositions. 20 21 22 23 Third, plaintiffs are still trying to secure a date for the subpoenaed deposition of out-of-state witness, Frank DeJoy. Fourth, plaintiffs have continued to experience difficulties in securing the deposition of defendant Infante, who allegedly resides outside the United States. 24 Fifth, additional time is necessary to receive and review production of documents in response 25 to plaintiffs’ outstanding subpoena dues tecum to First Republic Bank, and these documents are not 26 expected to be produced until on or about July 24, 2023. 27 28 Sixth, additional time is necessary to take the deposition of defendant Wong after receiving and reviewing responses to the subpoena duces tecum from First Republic Bank. 5 of 8 Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 6 of 8 1 Seventh, defendant Wong will also need to take to the deposition of the individual plaintiffs. 2 Eighth, the parties desire to preserve time and expense of what may prove to be unnecessary 3 litigation expenses in the event this dispute is resolved at the settlement conference. 4 2. Good Faith Efforts Supporting the Requested Extension 5 The parties have engaged in sincere and good faith discovery efforts. 6 3. 7 8 A trial date has not been set in this case. Accordingly, granting the Stipulation will not create unnecessary delay in resolving this case on its merits. 9 4. 10 11 12 Length of Delay and Potential Impact on the Proceedings No Prejudice Would Arise Since this request is a joint request, neither party will be prejudiced. III. PROPOSED EXTENDED DEADLINES Deadline Current Date Proposed New Date 13 Deadline to Amend/Add Parties Closed Same 14 Initial Deadline to Disclose Experts Closed Same 15 Deadline to Disclose Rebuttal Experts Closed Same 16 Discovery Cutoff July 24, 2023 90 days from the 17 conclusion of the 18 settlement conference, if 19 necessary. 20 Dispositive Motions Deadline August 23, 2023 120 days after the 21 conclusion of the 22 settlement conference, if 23 necessary. 24 Joint Pretrial Order Deadline September 24, 2023 150 days after the 25 conclusion of the 26 settlement conference, if 27 necessary. 28 6 of 8 Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 7 of 8 1 E. Motions in Limine/Daubert Motions 2 Under LR 16-3(b), any motions in limine, including Daubert motions, shall be filed and served 3 30 days prior to the commencement of Trial. Oppositions shall be filed and served, and the motion 4 submitted for decision 14 days thereafter. Reply briefs will be allowed only with leave of the Court. 5 F. Extensions or Modification of the Discovery Plan and Scheduling Order 6 In accordance with LR 26-3, applications to extend any date set by the discovery plan, 7 scheduling order, or other order must, in addition to satisfying the requirements of LR 26-1, be 8 supported by a showing of good cause for the extension. All motions or stipulations to extend a 9 deadline set forth in a discovery plan shall be received by the Court not later than 21 days before the 10 expiration of the subject deadline. A request made after the expiration of the subject deadline shall not 11 be granted unless the movant demonstrates that the failure to set was the result of excusable neglect. 12 Any motion or stipulation to extend a deadline or to reopen discovery shall include: 13 (a) A statement specifying the discovery completed; 14 (b) A specific description of the discovery that remains to be completed; 15 (c) The reasons why the deadline was not satisfied, or the remaining discovery was not 16 completed within the time limits set by the discovery plan; and 17 (d) 18 /// 19 /// 20 /// 21 /// 22 /// 23 /// 24 /// 25 /// 26 /// 27 /// A proposed schedule for completing all discovery. 28 7 of 8 Case 2:22-cv-01415-JAD-BNW Document 43 42 Filed 07/17/23 07/13/23 Page 8 of 8 1 This request for an extension is made in good faith and joined by all the parties in this case. 2 The Request is timely pursuant to LR 26-3. A trial has not yet been set in this matter and dispositive 3 motions have not yet been filed. Accordingly, this extension will not delay this case. Moreover, since 4 this request is a joint request, neither party will be prejudiced. The extension will allow the parties the 5 necessary time to complete the discovery and participate in mediation. 6 DATED this 13th day of July, 2023. 7 8 9 10 11 12 13 14 15 16 17 18 HUTCHISON & STEFFEN, PLLC HOWARD & HOWARD ATTORNEYS, PLLC /s/ Stewart C. Fitts __________________________________ Stewart C. Fitts (5635) Peccole Professional Park 10080 West Alta Drive, Suite 200 Las Vegas, NV 89145 /s/ L. Christopher Rose _______________________________________ L. Christopher Rose (7500) Jonathan R. Martin (15959) 3800 Howard Hughes Pkwy., Suite 1000 Las Vegas, NV 89169 Attorneys for Plaintiffs Attorneys for Defendant Allison Wong NBK INNOVATION XIII, LLC, DOJO VENTURES FUND II, LLC, SU FUND I, A SERIES OF INCISIVE VENTURES LP, ANTONIO SALERNO, SUSAN LEIBY, ALESSCO, INC. DEFINED BENEFIT PLAN, ROBERT HESS, AND MJ JAMIOLKOWSKI FLP IT IS SO ORDERED. 19 20 21 UNITED STATES MAGISTRATE JUDGE DATED: July 17, 2023. 22 23 24 25 26 27 28 8 of 8

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