Landeros et al v. Las Vegas Metropolitan Police Department et al

Filing 45

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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1 2 3 4 5 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 6 UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA 8 ANGEL LANDEROS and AMELIA VILLALBA, 9 Case No.: 2:14-cv-01525-JCM-CWH Plaintiffs, 10 vs. 11 z 12 ~, °° 13 x Q~~ ~"~`~ V ~v 14 O V ~~ ~~ ~ Viz¢ w 15 .— 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, 16 Defendants ~ o>o H O~ d N W a M 17 DEFENDANT OFC. CLYDE VILLANUEVA'S REQUEST FOR EXCEPTION OF ATTENDANCE REQUIREMENT AT THE SETTLEMENT CONFERENCE SCHEDULED FOR JULY 13,2017 O 18 19 Defendant Officer Clyde Villanueva ("Villanueva"), by and through his attorneys of 20 record, Craig R. Anderson, Esq., of Marquis Aurbach Coffing, hereby files his Request for 21 Exception of Attendance at the Settlement Conference Scheduled for July 13, 2017. ECF No. 22 41. 23 1. Defendant Villanueva has informed the undersigned that he will be out of the 24 state for an extended period of time starting July 1, 2017 and will be unable to attend the 25 settlement conference; 26 27 28 2. Defendant Villanueva has already made his travel arrangements and a copy can be supplied to the court if necessary; 3. Defendant Villanueva played a minor role in the subject incident; Page 1 of2 MAC:05166-835 3108618 1 6/9/2017 8:15 AM 1 4. LVMPD representatives and defendant Scott Thomas will be in attendance; 2 5. Defendant LVMPD is indemnifying Ofc. Villanueva in this lawsuit; and 3 6. Counsel for Defendant Villanueva and LVMPD Risk Management employees 4 5 with full settlement authority will be present at the conference. Dated this~day of June, 2017. MARQUIS AURBACH COFFING 7 s By• June 13, 2017 9 10 11 T Z w O U 12 °° ~ N W M N~ U Q~~ ~~ v ~ ~z¢ w ~°"~~ ~ o>o ~--~~ ~ ^) ~.~` aM 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 13 REQUEST FOR EXCEPTION 14 SETTLEMENT CONFERENCE SCHEDULED FOR JULY 13, 2017 was sub 15 electronically for filing and/or service with the United States District Court on the ~ day of 16 June, 2017. Electronic service of the foregoing document shall be made in accordance with the 17 CM/ECF-Service List as follows: OF ATTENDANCE REQUIREMENT AT THE ed o 18 19 20 21 22 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 23 I further certify that I served a copy of this document by mailing a true and correct copy 24 thereof, postage prepaid, addressed to: 25 n/a \ 26 27 an employee of Marquis Aurbach Coffing 28 Page 2 of2 MAC:05166-835 3108618 1 6/9/2017 8:15 AM

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