Filed: Aug. 12, 2019
Latest Update: Aug. 12, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (FIRST REQUEST) JENNIFER A. DORSEY , District Judge . Plaintiffs Deshun Thomas, individually and as the natural parent and guardian of minor L.J., and Kristin Woods, co-guardian ad litem for L.J. (hereinafter, "Plaintiffs"), and Defendants Clark County School District, Richard Fuller, Beverly Dade, Patricia Schultz and Pat Skorkowsky, by and through their respective attorneys of record, hereby stipulate and
Summary: STIPULATION AND ORDER TO EXTEND TIME TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (FIRST REQUEST) JENNIFER A. DORSEY , District Judge . Plaintiffs Deshun Thomas, individually and as the natural parent and guardian of minor L.J., and Kristin Woods, co-guardian ad litem for L.J. (hereinafter, "Plaintiffs"), and Defendants Clark County School District, Richard Fuller, Beverly Dade, Patricia Schultz and Pat Skorkowsky, by and through their respective attorneys of record, hereby stipulate and a..
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STIPULATION AND ORDER TO EXTEND TIME TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS
(FIRST REQUEST)
JENNIFER A. DORSEY, District Judge.
Plaintiffs Deshun Thomas, individually and as the natural parent and guardian of minor L.J., and Kristin Woods, co-guardian ad litem for L.J. (hereinafter, "Plaintiffs"), and Defendants Clark County School District, Richard Fuller, Beverly Dade, Patricia Schultz and Pat Skorkowsky, by and through their respective attorneys of record, hereby stipulate and agree as follows:
1. On July 15, 2019, Defendants Patricia Schultz and Pat Skorkowsky ("Defendants") filed a Motion to Dismiss Plaintiffs' Complaint. ECF No. 19.
2. Following an extension, Plaintiffs filed a Response to Defendants' Motion to Dismiss, on August 2, 2019. ECF No. 29. The Response was corrected on August 7, 2019. ECF No. 32.
3. Defendants' deadline to file a reply to the Response is August 9, 2019. However, defense counsel needs additional time to prepare a reply in light of unexpected scheduling concerns.
4. The parties agree to briefly extend the time for Defendants to file a reply to Plaintiffs' Response by one (1) week, through and including August 16, 2019.
5. This stipulation is made in good faith and not for the purpose of delay.
Dated: August 8, 2019 Dated: August 8, 2019
GANZ & HAUF CLARK COUNTY SCHOOL DISTRICT
OFFICE OF THE GENERAL COUNSEL
By: /s/Suzanne E. Carver By: /s/Crystal J. Herrera
Marjorie Hauf, Esq. (#8111) Crystal J. Herrera (#12396)
Suzanne E. Carver, Esq. (#14689) 5100 West Sahara Avenue
8950 W. Tropicana Ave. #1 Las Vegas, Nevada 89146
Las Vegas, NV 89147 Attorney for Defendants
Attorney for Plaintiffs
ORDER
IT IS SO ORDERED.