Williams v. Clark County School District

Filing 23

ORDER Granting 22 Stipulation to Extend Time to File Dispositive Motions. ( Motions due by 9/20/2017.) Signed by Magistrate Judge Peggy A. Leen on 8/25/17. (Copies have been distributed pursuant to the NEF - ADR)

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Case 2:16-cv-02248-APG-PAL Document 22 Filed 08/25/17 Page 1 of 2 1 CLARK COUNTY SCHOOL DISTRICT OFFICE OF THE GENERAL COUNSEL 2 S. SCOTT GREENBERG, ESQ. Nevada Bar No. 4622 3 5100 W. Sahara Ave. Las Vegas, Nevada 89146 4 (702) 799-5373 Attorney for Defendant, 5 CLARK COUNTY SCHOOL DISTRICT 6 UNITED STATES DISTRICT COURT 7 DISTRICT OF NEVADA 8 9 SHAQINTA WILLIAMS CASE NO. 2:16-cv-02248-APG-PAL Plaintiff, 10 STIPULATION TO EXTEND MOTION DEADLINE (Third Request) 11 v. 12 CLARK COUNTY SCHOOL DISTRICT; a political subdivision of the State of Nevada, 13 14 15 Defendants. COME NOW, the parties, by and through their attorneys of 16 record, and hereby stipulate and agree to extend the motion deadline 17 two (2) weeks from the current deadline of September 6, 2017, up to 18 and including September 20, 2017. This is the third request to 19 extend the motion deadline. The deadline was last extended as the 20 parties are exploring possible resolution (Docket #21), which are 21 still being explored. This request is made in good faith for the 22 reasons described below and not for any reason of delay. 23 Defense counsel’s office, part of the District Legal Office, 24 moved temporarily as the District building it is in is undergoing 25 construction. Defense counsel just learned that the District Legal 26 Office’s move back to its regular offices has been scheduled and 27 must have their offices packed-up, including computers and files, 28 on Friday, September 1st. The move will take place into the week of Case 2:16-cv-02248-APG-PAL Document 22 Filed 08/25/17 Page 2 of 2 1 September 4th. Given the disruption to defense counsel’s office 2 that will be caused by the move, the parties have agreed to 3 extending the motion deadline. Additionally, Plaintiff’s counsel 4 will be out of the country from September 7th - September 19th 5 therefore counsel believe it is prudent to have the motion deadline 6 extend to Plaintiff’s counsel’s return. Therefore, the parties 7 request the motion deadline be moved to September 20, 2017. The 8 District will be filing a summary judgment motion as to all claims 9 should a resolution not be reached. 10 Therefore, it is respectfully requested that the motion 11 deadline be extended two (2) weeks up to and including September 20, 12 2017. DATED this 24th day of August, 2017. 13 14 15 CLARK COUNTY SCHOOL DISTRICT Office of the General Counsel 16 LAW OFFICES OF ROBERT SPRETNAK 17 By: By: /s/ Robert Spretnak Robert Spretnak, Esq. Nevada Bar No. 5135 8275 S. Eastern Ave. Las Vegas, NV 89123 Attorney for Plaintiff 18 19 /s/ S, Scott Greenberg S. SCOTT GREENBERG Nevada Bar No. 4622 5100 W. Sahara Ave. Las Vegas, Nevada 89146 Attorneys for Defendant 20 21 22 IT IS SO ORDERED: 23 24 25 Date: August 25, 2017 U.S. MAGISTRATE JUDGE 26 27 28 -2-

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