Landeros et al v. Las Vegas Metropolitan Police Department et al
Filing
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ORDER Granting 44 Motion for Defendant Ofc. Clyde Villanueva's Request for Exception of Attendance Requirement at the Settlement Conference. Signed by Magistrate Judge Carl W. Hoffman on 6/13/17. (Copies have been distributed pursuant to the NEF - MR)
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Marquis Aurbach Cof~ng
Craig R. Anderson, Esq.
Nevada Bar No. 6882
10001 Park Run Drive
Las Vegas, Nevada 89145
Telephone:(702) 382-0711
Facsimile:(702)382-5816
canderson@maclaw.com
Attorneys for Defendants LVMPD,Thomas,Parra and Villanueva
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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ANGEL LANDEROS and AMELIA
VILLALBA,
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Case No.:
2:14-cv-01525-JCM-CWH
Plaintiffs,
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vs.
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.— c`~n
LAS VEGAS METROPOLITAN POLICE
DEPARTMENT,a political subdivision ofthe
State of Nevada; OFFICER SCOTT THOMAS,
individually; OFFICER JOSEPH PARKA,
individually; OFFICER CLYDE
VILLANUEVA,individually and DOE
OFFICERS 1 through 10, inclusive,
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Defendants
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DEFENDANT OFC. CLYDE VILLANUEVA'S REQUEST FOR EXCEPTION OF
ATTENDANCE REQUIREMENT AT THE SETTLEMENT CONFERENCE
SCHEDULED FOR JULY 13,2017
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Defendant Officer Clyde Villanueva ("Villanueva"), by and through his attorneys of
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record, Craig R. Anderson, Esq., of Marquis Aurbach Coffing, hereby files his Request for
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Exception of Attendance at the Settlement Conference Scheduled for July 13, 2017. ECF No.
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41.
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1.
Defendant Villanueva has informed the undersigned that he will be out of the
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state for an extended period of time starting July 1, 2017 and will be unable to attend the
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settlement conference;
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2.
Defendant Villanueva has already made his travel arrangements and a copy can be
supplied to the court if necessary;
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Defendant Villanueva played a minor role in the subject incident;
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MAC:05166-835 3108618 1 6/9/2017 8:15 AM
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4.
LVMPD representatives and defendant Scott Thomas will be in attendance;
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5.
Defendant LVMPD is indemnifying Ofc. Villanueva in this lawsuit; and
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6.
Counsel for Defendant Villanueva and LVMPD Risk Management employees
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with full settlement authority will be present at the conference.
Dated this~day of June, 2017.
MARQUIS AURBACH COFFING
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s
By•
June 13, 2017
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r/~-rai R. Anderson, Esq.
Nevada Bar No. 6882
10001 Park Run Drive
Las Vegas, Nevada 89145
Attorney for Defendants
CERTIFICATE OF SERVICE
I hereby certify that the foregoing DEFENDANT OFC. CLYDE VILLANUEVA'S
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REQUEST FOR EXCEPTION
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SETTLEMENT CONFERENCE SCHEDULED FOR JULY 13, 2017 was sub
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electronically for filing and/or service with the United States District Court on the ~ day of
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June, 2017. Electronic service of the foregoing document shall be made in accordance with the
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CM/ECF-Service List as follows:
OF ATTENDANCE REQUIREMENT AT THE
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Cal J. Potter, Esq.
C.J. Potter, IV, Esq.
Attorney for Plaintiffs
info@potterlawoffices.com
allison@potterlawoffices.com
cj@potterlawoffices.com
linda@potterlawoffices.com
dustin@potterlawoffices.com
Stacie@potterlawoffices.com
Tanya@potterlawoffices.com
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I further certify that I served a copy of this document by mailing a true and correct copy
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thereof, postage prepaid, addressed to:
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n/a
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an employee of Marquis Aurbach Coffing
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MAC:05166-835 3108618 1 6/9/2017 8:15 AM
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