Filed: Jul. 02, 2019
Latest Update: Jul. 02, 2019
Summary: STIPULATION AND ORDER TO EXTEND THE DEADLINE FOR DEFENDANTS TO FILE THEIR REPLY IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT SECOND REQUEST RICHARD F. BOULWARE, II , District Judge . Pursuant to LR 6-1 and LR 26-4, the parties, by and through their respective counsel of record, hereby stipulate and request that this Court extend the deadline to file Defendant's Reply in Support of Motion for Summary Judgment in the above-captioned case thirty days (30) days, up to and including August 7
Summary: STIPULATION AND ORDER TO EXTEND THE DEADLINE FOR DEFENDANTS TO FILE THEIR REPLY IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT SECOND REQUEST RICHARD F. BOULWARE, II , District Judge . Pursuant to LR 6-1 and LR 26-4, the parties, by and through their respective counsel of record, hereby stipulate and request that this Court extend the deadline to file Defendant's Reply in Support of Motion for Summary Judgment in the above-captioned case thirty days (30) days, up to and including August 7,..
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STIPULATION AND ORDER TO EXTEND THE DEADLINE FOR DEFENDANTS TO FILE THEIR REPLY IN SUPPORT OF THEIR MOTION FOR SUMMARY JUDGMENT
SECOND REQUEST
RICHARD F. BOULWARE, II, District Judge.
Pursuant to LR 6-1 and LR 26-4, the parties, by and through their respective counsel of record, hereby stipulate and request that this Court extend the deadline to file Defendant's Reply in Support of Motion for Summary Judgment in the above-captioned case thirty days (30) days, up to and including August 7, 2019.
This Request for an extension of time is not sought for any improper purpose or other purpose of delay. This request for extension is based upon the following:
Counsel for Defendants has been occupied in preparing for trial in Lige v. Clark County, 2:16-cv-603-JAD-BNW, set to begin on July 16, 2019. Counsel has prepared for and attended a Settlement Conference in this matter on June 27, 2019 and will be attending an additional conference on July 3, 2019.
WHEREFORE, the parties respectfully request that this Court extend the time for the Defendants to file their Reply in Support of Motion for Summary Judgment by thirty (30) days from the current deadline of July 8, 2019 up to and including August 7, 2019.
DATED this 1st day of July, 2019. DATED this 1st day of July, 2019
LEWIS BRISBOIS BISGAARD & SMITH LADAH LAW FIRM
Robert W. Freeman, Jr., Esq. Ramzy Paul Ladah, Esq.
Nevada Bar No. 3062 Nevada Bar No. 11405
6385 S. Rainbow Blvd., Suite 600 Joseph C. Chu, Esq.
Las Vegas, Nevada 89118 Nevada Bar No. 11082
Attorneys for Defendants 517 S. Third Street
Las Vegas, Nevada 89101
Rodolfo Gonzales, Esq.
Nevada Bar No. 12751
THE LAW OFFICE OF RODOLFO
GONZALEZ
3175 S. Nellis Blvd., Suite A
Las Vegas, Nevada 89121
Attorneys for Plaintiff
ORDER
IT IS SO ORDERED.