Estate of Barry Isom v. United States Department of the Interior et al

Filing 110

ORDER Granting 104 Stipulation for Extension of Time re Expert Designations (First Request). Signed by Judge Richard F. Boulware, II on 8/23/17. (Copies have been distributed pursuant to the NEF - MR)

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1 ‚ Marquiz Law Office 2 Professional Corporation 3 3088 Via Flaminia Court Henderson, NV 89052 Phone: (702) 263-5533 Fax: (702) 263-5532 4 ‚ 5 6 Craig A. Marquiz, Esq. NV Bar #7437 7 8 9 10 11 Justice Law Center 1100 S. Tenth Street Las Vegas, Nevada 89104 Phone: (702) 731-0000 Fax: (702) 974-4008 13 Bret O. Whipple, Esq. Nevada Bar No. 6168 Alissa C. Engler, Esq. Nevada Bar No. 11940 14 Attorneys for Plaintiffs 12 15 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 16 Case No.:2:14-cv-00475-RFB-VCF 17 18 THE ESTATE OF BARRY ISOM, by and through its Executrix, Mary Love-Isom; Jaimee Isom Newberry and Kimberlee Isom Grindstaff; 19 Plaintiffs, 20 v. 21 22 23 UNITED STATES OF AMERICA, and DOES 1 through 100, inclusive, STIPULATED REQUEST FOR EXTENSION TO FILE EXPERT DESIGNATIONS Defendants, (First Request) 24 25 26 Pursuant to Local Rules 6-1, 26-4, and Fed. R. Civ. P. 6(b), the parties stipulate, subject 27 to this Court’s approval, that the scheduled date to submit and file Expert Designations, presently 28 due today, August 22, 2017, be extended to September 5, 2017. 1 In an abundance of caution, the parties are also clarifying that the Pretrial Order sets the 2 date of September 4, 2017 as the due date for the Trial Briefs; however, the original order states 3 the Trial Briefs are due at the same time as the Expert Designations. Therefore, due to September 4 4, 2017 being a federal holiday, the parties are also requesting the due date for Trial Briefs be 5 extended to September 5, 2017. 6 This request is made for good cause, and not for purposes of delay. Plaintiff’s counsel has 7 been experiencing technological difficulties accessing, uploading, and/or downloading 8 documents with the Federal filing system. The parties continue to cooperate and work in good 9 faith to finalize their Trial Briefs and Expert Designations. 10 Accordingly, the parties stipulate and respectfully request to extend the deadline to 11 submit and file the Expert Designations and Trial Briefs to September 5, 2017. 12 RESPECTFULLY SUBMITTED this 22nd day of August, 2017. 13 JUSTICE LAW CENTER STEVEN M. MYHRE ACTING UNITED STATES ATTORNEY /s/ Bret O. Whipple BRET O. WHIPPLE, ESQ. ALISSA C. ENGLER, ESQ. /s/ Lindsy M. Roberts LINDSY M. ROBERTS, ESQ. TROY K. FLAKE, ESQ. Assistant United States Attorneys Attorneys for the United States of America 14 15 16 Attorneys for Plaintiffs 17 18 IT IS SO ORDERED: 19 20 21 22 RICHARD F. BOULWARE, II United States District Judge August 23, 2017 DATED:___________________________ 23 24 25 26 27 28 -2-

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