Filed: Jun. 11, 2019
Latest Update: Jun. 11, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME TO FILE AND SERVE DEFENDANTS' REPLY IN SUPPORT OF MOTION TO DISMISS PLAINTIFF'S FIRST AMENDED COMPLAINT RICHARD F. BOULWARE, II , District Judge . COMES NOW DEFENDANTS, Dan. L. Eisenberg, M.D., and Shepherd Eye Center, Ltd. (Collectively "Eisenberg Defendants") by and through their counsel of record, MICHELLE R. SCHWARZ, ESQ. of the law firm of HALL JAFFE & CLAYTON LLP, Plaintiff Francis G. Watson, by and through his counsel of record, the Jimmerson Law
Summary: STIPULATION AND ORDER TO EXTEND TIME TO FILE AND SERVE DEFENDANTS' REPLY IN SUPPORT OF MOTION TO DISMISS PLAINTIFF'S FIRST AMENDED COMPLAINT RICHARD F. BOULWARE, II , District Judge . COMES NOW DEFENDANTS, Dan. L. Eisenberg, M.D., and Shepherd Eye Center, Ltd. (Collectively "Eisenberg Defendants") by and through their counsel of record, MICHELLE R. SCHWARZ, ESQ. of the law firm of HALL JAFFE & CLAYTON LLP, Plaintiff Francis G. Watson, by and through his counsel of record, the Jimmerson Law F..
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STIPULATION AND ORDER TO EXTEND TIME TO FILE AND SERVE DEFENDANTS' REPLY IN SUPPORT OF MOTION TO DISMISS PLAINTIFF'S FIRST AMENDED COMPLAINT
RICHARD F. BOULWARE, II, District Judge.
COMES NOW DEFENDANTS, Dan. L. Eisenberg, M.D., and Shepherd Eye Center, Ltd. (Collectively "Eisenberg Defendants") by and through their counsel of record, MICHELLE R. SCHWARZ, ESQ. of the law firm of HALL JAFFE & CLAYTON LLP, Plaintiff Francis G. Watson, by and through his counsel of record, the Jimmerson Law Firm P.C., and Defendant the United States of America, and hereby stipulate and agree that the deadline for the Eisenberg Defendants to file their Reply in Support of their Motion to Dismiss plaintiff's First Amended Complaint shall be extended to June 13, 2019.
DATED this 7th day of June, 2019. DATED this 7th day of June, 2019.
THE JIMMERSON LAW FIRM, P.C. HALL JAFFE & CLAYTON LLP
/s/James J. Jimmerson, Esq. /s/ Michelle Schwarz, Esq.
JAMES J. JIMMERSON, ESQ. MICHELLE R. SCHWARZ, ESQ.
Nevada State Bar No. 000264 Nevada State Bar No. 005127
JAMES M. JIMMERSON, ESQ. 7425 Peak Dr.
Nevada State Bar No. 12599 Las Vegas, Nevada 89128
415 South Sixth Street, Ste. 100 (702) 316-4111
Las Vegas, Nevada 89101 Attorneys for Defendants Dan L.
(702) 388-7171 Eisenberg and Shepherd Eye Center Attorneys
for Plaintiff
DATED this 7th day of June, 2019.
UNITED STATES ATTORNEY
/s/ Brian Irvin, Esq.
BRIAN IRVIN, ESQ.
Illinois Bar No. 6306228
701 Northbridge St., Suite 100
Las Vegas, NV 89102
Attorney for Defendant
United States of America
ORDER
Upon the Stipulation of the parties hereto and good cause appearing therefor:
IT IS HEREBY ORDERED that the deadline for the Eisenberg Defendants to file their Reply in Support of their Motion to Dismiss Plaintiff's First Amended Complaint shall be extended until June 13, 2019.