Friedman v. U.S., 2:18-CV-000857-JCM-VCF. (2018)
Court: District Court, D. Nevada
Number: infdco20180813995
Visitors: 15
Filed: Aug. 10, 2018
Latest Update: Aug. 10, 2018
Summary: STIPULATION AND ORDER TO DEFER BRIEFING ON THE UNITED STATES' MOTION TO DISMISS [ECF No. 39] (First Request) JAMES C. MAHAN , District Judge . IT IS HEREBY STIPULATED and AGREED by and between Defendant the United States of America, by and through GREG ADDINGTON, Assistant United States Attorney, and Plaintiff SCOTT FRIEDMAN, by and through his counsel, MELANIE A. HILL and LISA A. RASMUSSEN, that the briefing on the United States' Motion to Dismiss [ECF No. 39] be deferred. This Stipulatio
Summary: STIPULATION AND ORDER TO DEFER BRIEFING ON THE UNITED STATES' MOTION TO DISMISS [ECF No. 39] (First Request) JAMES C. MAHAN , District Judge . IT IS HEREBY STIPULATED and AGREED by and between Defendant the United States of America, by and through GREG ADDINGTON, Assistant United States Attorney, and Plaintiff SCOTT FRIEDMAN, by and through his counsel, MELANIE A. HILL and LISA A. RASMUSSEN, that the briefing on the United States' Motion to Dismiss [ECF No. 39] be deferred. This Stipulation..
More
STIPULATION AND ORDER TO DEFER BRIEFING ON THE UNITED STATES' MOTION TO DISMISS [ECF No. 39]
(First Request)
JAMES C. MAHAN, District Judge.
IT IS HEREBY STIPULATED and AGREED by and between Defendant the United States of America, by and through GREG ADDINGTON, Assistant United States Attorney, and Plaintiff SCOTT FRIEDMAN, by and through his counsel, MELANIE A. HILL and LISA A. RASMUSSEN, that the briefing on the United States' Motion to Dismiss [ECF No. 39] be deferred. This Stipulation is executed for the following reasons:
1. AUSA Addington filed a Motion to Dismiss [ECF No. 39] on behalf of the United States only on July 26, 2018 and Plaintiffs response is due on August 9, 2018.
2. After filing his Motion to Dismiss on behalf of the United States, AUSA Addington was assigned to represent the three FBI agents named as Defendants in the Complaint, GENE M. TIERNEY, MATTHEW A. ZITO, and THAYNE A.
LARSON (hereinafter referred to collectively as the "FBI agents"). 3. The parties have agreed that AUSA Addington has until August 27, 2018 to file a responsive pleading on behalf of the FBI agents. AUSA Addington has informed counsel for Plaintiff that he intends to file a Motion to Dismiss on behalf of the FBI agents on or before August 27, 2018.
4. The parties are therefore requesting that the Court defer briefing on the pending Motion to Dismiss [ECF No. 39] filed on behalf of the United States only to allow a Motion to Dismiss to be filed on behalf of the FBI agents. At that time, the parties will submit a proposed briefing scheduled for the two Motions to Dismiss so that the Motions can continue on the same motion briefing track. The parties are expecting to avoid unnecessary duplication of effort in the briefing of the United States' Motion to Dismiss and the anticipated motion to be filed in behalf of the FBI agents and thereby prevent the wasting of resources for the Court and the parties by streamlining the litigation.
5. The request for additional time in this Stipulation is made in good faith and not for the purposes of delay.
ORDER
IT IS SO ORDERED.
Source: Leagle