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UNITED STATES OF AMERICA
`BEFORE THE NATIONAL LABOR RELATIONS BOARD
`DIVISION OF JUDGES
`SAN FRANCISCO BRANCH
`
`
`
`
`RED ROCK RESORTS, INC.;
`
`and
`
`STATION HOLDCO LLC;
`
`
`and
`
`
`STATION CASINOS LLC;
`
`
`and
`
`FP HOLDINGS, L.P. d/b/a
`PALMS CASINO RESORT AND PALMS PLACE, and
`FIESTA PARENTCO, L.L.C., General Partner;
`
`
`and
`
`
`NP BOULDER LLC d/b/a
`BOULDER STATION HOTEL & CASINO;
`
`
`and
`
`and
`
`
`NP FIESTA LLC d/b/a
`FIESTA RANCHO HOTEL & CASINO;
`
`
`
`NP LAKE MEAD LLC d/b/a
`FIESTA HENDERSON CASINO HOTEL;
`
`
`and
`
`
`NP PALACE LLC d/b/a
`PALACE STATION HOTEL & CASINO;
`
`
`and
`
`
`NP RED ROCK LLC d/b/a
`RED ROCK CASINO, RESORT & SPA;
`
`
`

`

`and
`
`
`NP SANTA FE LLC d/b/a
`SANTA FE STATION HOTEL & CASINO;
`
`
`and
`
`
`NP SUNSET LLC d/b/a
`SUNSET STATION HOTEL & CASINO;
`
`
`and
`
`
`NP TEXAS LLC d/b/a
`TEXAS STATION GAMBLING HALL AND HOTEL;
`
`
`and
`
`
`STATION GVR ACQUISITION, LLC d/b/a
`GREEN VALLEY RANCH RESORT SPA CASINO;
`
`collectively, a Single Employer and
`Single Integrated Enterprise
`
`
`and
`
`LOCAL JOINT EXECUTIVE BOARD OF LAS VEGAS a/w
`UNITE HERE INTERNATIONAL UNION
`
`and
`
`THOMAS STALLINGS, an Individual
`
`Party in Interest
`
`2
`
`Cases 28-CA-228052
`28-CA-228944
`28-CA-247602
`28-CA-248464
`28-CA-249203
`28-CA-249576
`28-CA-251083
`28-CA-251254
`28-CA-251803
`28-CA-252404
`28-CA-252964
`28-CA-256630
`28-CA-257778
`28-CA-260167
`28-CA-260169
`28-CA-260187
`28-CA-260199
`28-CA-260207
`28-CA-260209
`28-CA-260216
`28-CA-261666
`28-CA-262465
`28-CA-262973
`
`

`

`28-CA-262977
`28-CA-262980
`28-CA-262982
`28-CA-262987
`28-CA-263582
`28-CA-264135
`28-CA-264297
`28-CA-264465
`28-CA-264469
`28-CA-264476
`28-CA-264612
`28-CA-264619
`28-CA-264626
`28-CA-264631
`28-CA-264638
`28-CA-266556
`28-CA-266987
`28-CA-267067
`28-CA-268930
`28-CA-268957
`28-CA-268958
`28-CA-268960
`28-CA-269516
`28-CA-269517
`28-CA-269519
`28-CA-269520
`28-CA-269959
`28-CA-269962
`28-CA-269965
`28-CA-271251
`28-CA-271608
`28-CA-273812
`28-CA-273936
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`3
`
`RED ROCK RESORTS, INC.;
`
`
`and
`
`
`STATION HOLDCO LLC;
`
`
`and
`
`
`STATION CASINOS LLC;
`
`
`and
`
`
`
`

`

`NP SUNSET LLC d/b/a
`SUNSET STATION HOTEL & CASINO;
`
`and
`
`
`FP HOLDINGS, L.P. d/b/a
`PALMS CASINO RESORT AND PALMS PLACE, and
`FIESTA PARENTCO, L.L.C., General Partner;
`
`collectively, a Single Employer and
`Single Integrated Enterprise
`
`
`and
`
`INTERNATIONAL UNION OF OPERATING ENGINEERS,
`LOCAL 501, AFL-CIO
`
`and
`
`THOMAS STALLINGS, an Individual
`
`
`Party in Interest
`
`
`
`RED ROCK RESORTS, INC.;
`
`
`and
`
`
`STATION HOLDCO LLC;
`
`
`and
`
`
`STATION CASINOS LLC;
`
`
`and
`
`
`NP TEXAS STATION LLC d/b/a TEXAS STATION
`GAMBLING HALL AND HOTEL;
`
`collectively, a Single Employer and Single Integrated
`Enterprise
`
`
`and
`
`
`MARIA SANJUANA ORTIZ, AN INDIVIDUAL
`
`4
`
`
`
`
`
`
`
`
`
`
`
`
`
`Casess 28-CA-239331
`28-CA-247230
`28-CA-260724
`
`
`
`Case 28-CA-245467
`
`

`

`RED ROCK RESORTS, INC.;
`
`
`and
`
`and
`
`
`STATION HOLDCO LLC
`
`
`
`STATION CASINOS LLC;
`
`
`and
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Case 28-CA-239376
`
`
`NP PALACE LLC d/b/a PALACE STATION
`HOTEL & CASINO
`
`collectively, a Single Employer and
`Single Integrated Enterprise
`
`
`and
`
`BLAKE SAARI, AN INDIVIDUAL
`
`
`
`ORDER PARTIALLY GRANTING RESPONDENT’S SECOND MOTION FOR
`EXTENSION OF TIME TO FILE PETITION TO REVOKE THE GENERAL
`COUNSEL’S SUBPOENA DUCES TECUM
`
`
`
`On July 1, 2021, the Regional Director for National Labor Relations Board (NLRB)
`Region 28 issued an order partially granting Respondent’s extension of time request to file any
`petition to revoke the General Counsel’s subpoena duces tecum B-1-1CY8UNX, B-1-1CY901J,
`B-1-1CY9DVB, B-1-1CY9ERJ, B-1-1CY9H2V, B-1-1CY9TCT, B-1-1CY9QEF, B-1-
`1CYA3Y7, B-1-1CYA9KZ, B-1-1CY8UNX, B-1-1CYAGDF, B-1-1CYAHH5, B-1-1CYAG8F,
`and B-1-1CYAOBJ B-1-1CR9TSF to July 13, 2021. Respondent requested an extension to time
`until July 27, 2021. The Regional Director referred Respondent’s request to the undersigned
`insofar as Respondent requested additional time beyond July 13, 2021. On July 7, 2021, I
`granted Respondent’s request, and ordered that any petition to revoke be filed by July 27, 2021.
`
`On July 22, 2021, Respondent filed a request for a second extension of time to file the
`petition to revoke; Respondent requested to file any petition to revoke on August 3, 2021—the
`start date for the hearing in this matter. Thereafter, I issued an order to show cause. The General
`Counsel partially opposed Respondent’s request and argued that Respondent should file any
`petition to revoke by August 2, 2021. On July 26, 2021, Respondent filed a reply to the General
`Counsel’s partial opposition; Respondent clarified that it seeks an extension until August 10,
`2021.
`
`
`
`5
`
`

`

`Based on the parties’ arguments, I partially grant the additional time requested by
`Respondent. Any petition to revoke shall be filed in writing by August 2, 2021. The parties
`are ORDERED to continue to meet and confer to resolve and/or narrow the scope of any
`dispute. In any petition to revoke, Respondent must provide sufficient details of the parties’
`meet and confer. Thereafter, the General Counsel shall file any opposition to the petition to
`revoke no later than August 9, 2021. In addition, these disputes will be discussed once the
`hearing opens on August 3, 2021. Respondent should be prepared to respond in full to the
`General Counsel’s subpoena duces tecum, absent resolution, by 10 a.m. on August 3, 2021. If
`Respondent cannot provide all documents at that time, Respondent should be prepared to explain
`on the record on August 3, 2021 why the documents have not been provided in full.
`
`However, if the parties mutually agree to postpone the start of the hearing due to
`productive discussions regarding these subpoena disputes as well as any other matters
`which could narrow the scope and length of this hearing, along with the number of
`witnesses to be called, the parties should make a joint motion with a proposed revised
`scheduling order to the undersigned. Furthermore, the parties are highly encouraged to
`engage in settlement discussions.
`
`Dated at San Francisco, California, this 26th day of July 2021.
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Amita B. Tracy
`Administrative Law Judge
`
`6
`
`

`

`PROOF OF SERVICE
`
` I
`
` hereby certify that I have this 26th day of July 2021, caused copies of the foregoing document
`entitled, ORDER PARTIALLY GRANTING RESPONDENT’S SECOND MOTION FOR
`EXTENSION OF TIME TO FILE PETITION TO REVOKE THE GENERAL
`COUNSEL’S SUBPOENA DUCES TECUM, to be delivered by electronic mail upon the
`following:
`
`For the NLRB Region 28,
`Sara Demirok, Field Attorney.,
` Email sara.demirok@nlrb.gov
`Nathan A. Higley, Field Attorney,
` Email: nathan.higley@nlrb.gov
`Kyler A. Scheid, Field Attorney
` Email: kyler.scheid@nlrb.gov
`
`For the Respondents (Station Casinos):
`Douglas R. Sullenberger, Attorney at Law
`Joshua H. Viau, Attorney at Law
` Email: dsullenberger@fisherphillips.com
` Email: jviau@fisherphillips.com
`Timothy H. Scott, Esq.
` Email: tscott@fisherphillips.com
`(Fisher & Phillips, LLP)
`
`For Charging Party Local Joint Exec. Bd. of Las Vegas
`a/w UNITE HERE International Union
`Eric B. Myers, Esq.,
` Email: ebm@msh.law
`Richard Treadwell, Esq.
` Email: Email: rtreadwell@msh.law
`(McCracken Stemerman & Holsberry LLP)
`
`Charging Party IUOE, Local 5
`David A. Rosenfeld, Attorney at Law
`Email: drosenfeld@unioncounsel.net
`(Weinberg, Roger and Rosenfeld)
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`Vanise J. Lee
`Designated NLRB Agent
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`
`7
`
`

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