Cervantes v. Las Vegas Metropolitan Police Department Detention Service Division et al
Filing
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ORDER granting ECF No. 93 Stipulation. Plaintiff shall have up to and including July 24, 2020, to respond to Defendant Allan Kirkwood, DDS's Motion for Summary Judgment (ECF No. 81 ). Signed by Chief Judge Miranda M. Du on 7/16/2020. (Copies have been distributed pursuant to the NEF - AB)
Case 2:17-cv-00562-MMD-DJA Document 94 Filed 07/16/20 Page 1 of 2
TREVOR J. HATFIELD, ESQ
1 Nevada Bar No. 7373
2 HATFIELD & ASSOCIATES, LTD.
703 S. Eighth Street
3 Las Vegas, Nevada 89101
Telephone: (702) 388-4469
4 Facsimile: (702) 386-9825
Email: thatfield@hatfieldlawassociates.com
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Attorney for Plaintiff In conjunction with Legal Aid Center of
Southern Nevada Pro Bono Project
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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703 8th Street * Las Vegas, Nevada 89101
Telephone (702) 388-4469
HATFIELD & ASSOCIATES, LTD.
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LUIS CERVANTES,
Plaintiff,
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vs.
EDDIE SCOTT, et al.,
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CASE NO: 2:17-cv-00562-MMD-DJA
STIPULATION AND ORDER TO EXTEND
TIME FOR PLAINTIFF TO RESPOND TO
DEFENDANT ALLAN KIRKWOOD,
D.D.S.’S MOTION FOR SUMMARY
JUDGMENT
(Third Request)
Defendants.
COMES NOW, Plaintiff Luis Cervantes (“Plaintiff”), by and through his counsel, the law
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firm of Hatfield & Associates, Ltd., appearing pro bono publico, and Defendant Allan
18 Kirkwood, D.D.S. (“Defendant Kirkwood”) by and through his counsel, the law firm of Lewis
19 Brisbois Bisgaard & Smith, LLP, hereby stipulate and agree to extend the time for Plaintiff to
20 Respond to Defendant Allan Kirkwood, DDS’s Motion for Summary Judgment (ECF #81). This
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request is submitted pursuant to LR IA 6-1, 6-2 and LR II 7-1 and 26-4 and is the party’s third
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request for an extension of time for Plaintiff to respond to Defendant’s Motion for Summary
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24 Judgment.
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Good cause exists for this extension, as the current coronavirus/COVID-19 pandemic has
26 caused, and continues to cause, disruption to the practices of counsel involved in this case. In
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addition, Plaintiff is incarcerated in Ely State Prison and Plaintiff’s Counsel has had difficulty
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communicating with him to formulate an opposition to Defendant’s Motion for Summary Judgment.
Case 2:17-cv-00562-MMD-DJA Document 94 Filed 07/16/20 Page 2 of 2
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In addition, Plaintiff’s Counsel requests additional time so the parties may potentially explore
2 resolution. This request is also made due to Plaintiff’s counsel having a need for additional time and
3 Defendant has courteously granted this extension of time to file Plaintiff’s Response.
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Accordingly, Plaintiff shall have up to and including July 24, 2020, to respond to
Defendant Allan Kirkwood, DDS’s Motion for Summary Judgment (ECF #81).
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DATED this 15th day of July, 2020
8 HATFIELD & ASSOCIATES
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703 8th Street * Las Vegas, Nevada 89101
Telephone (702) 388-4469
HATFIELD & ASSOCIATES, LTD.
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/s/ Trevor J. Hatfield
By:
Trevor J. Hatfield, Esq. (SBN 7373)
703 S. Eighth Street
Las Vegas, Nevada 89101
Tel: (702) 388-4469
Email: thatfield@hatfieldlawassociates.com
Attorney for Plaintiff In conjunction with
Legal Aid Center of Southern Nevada Pro
Bono Project
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LEWIS BRISBOIS BISGAARD & SMITH,
LLP
/s/ Katherine J. Gordon
By:
_________________
S. Brent Vogel, Esq. (SBN 6858)
Katherine J. Gordon, Esq. (SBN 5813)
6385 S. Rainbow Boulevard, Suite 600
Las Vegas, Nevada 89118
Tel.: (702) 893-3383
Email: Brent.Vogel@lewisbrisbois.com
Email: Katherine.Gordon@lewisbrisbois.com
Attorneys for Defendant Allan Kirkwood, DDS
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ORDER
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UNITED STATES DISTRICT JUDGE
Dated: July 16, 2020
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