Burgess et al v. Clark County School District et al

Filing 25

ORDER Granting 23 Stipulation for Extension of Time re 9 , 10 Motions to Dismiss (First Request). See Order for deadlines. Signed by Chief Judge Gloria M. Navarro on 7/20/17. (Copies have been distributed pursuant to the NEF - MR)

Download PDF
1 2 3 4 5 6 7 8 Greenberg Traurig, LLP 3773 Howard Hughes Parkway - Suite 400 North Las Vegas, Nevada 89109 (702) 792-3773 (702) 792-9002 (fax) 9 10 MARK E. FERRARIO Nevada Bar No. 1625 ferrariom@gtlaw.com KARA B. HENDRICKS Nevada Bar No. 7743 hendricksk@gtlaw.com GREENBERG TRAURIG, LLP 3773 Howard Hughes Parkway Suite 400 North Las Vegas, Nevada 89169 Telephone: (702) 792-3773 Fax: (702) 792-9002 Attorneys for Defendants Clark County School District, Edward Goldman, James Ketsaa and Christopher Klemp 11 12 13 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA 14 DANIEL M. BURGESS, an individual; ANTHONY RUSSO, an individual, 17 CLARK COUNTY SCHOOL DISTRICT, a political subdivision; EDWARD GOLDMAN, an individual; JAMES KETSAA, an individual; CHRISTOPHER KLEMP, an individual, 15 16 18 19 20 21 vs. Case No. 2:17-cv-00805-GMN-VCF Plaintiffs, STIPULATION FOR EXTENSION OF TIME FOR DEFENDANTS TO FILE REPLIES IN SUPPORT OF THEIR MOTIONS TO DISMISS (First Request) Defendants. It is hereby STIPULATED AND AGREED between the parties, by and through their 22 undersigned counsel, that Clark County School District (“CCSD”), Edward Goldman, James 25 2017 as to Plaintiff Russo, and to and including August 1, 2017 as to Plaintiff Burgess, as primary 28 impact the relevant issues. Defendants’ motions were filed on May 26, 2017 (ECF No. 9, 10). 23 Ketsaa, and Christopher Klemp (collectively, “Defendants”), will have an additional two weeks to 26 counsel for Defendants has been out of the office for an extended period of time. Additionally, the 24 file their reply in support of their motions to dismiss the plaintiffs’ claims, to and including July 28, 27 parties will be participating in an Early Neutral Evaluation Session on July 25, 2017, which may LV 420948873v1 120810.011700 1 1 2 3 Pursuant to a stipulated extension of time, Plaintiffs’ oppositions are due July 11, 2017. Plaintiff Russo filed his opposition on July 7, 2017 (ECF No. 19). It is expected that Plaintiff Burgess will 4 file his opposition on July 11, 2017. This is the first extension of time to file the reply briefs. DATED this 11th day of July, 2017. DATED this 11th day of July, 2017. 7 GREENBERG TRAURIG, LLP MAIER GUTIERREZ & ASSOCIATES /s/ Kara B. Hendricks MARK E. FERRARIO, ESQ. Nevada Bar No. 1625 KARA B. HENDRICKS, ESQ. Nevada Bar No. 7743 3773 Howard Hughes Parkway, Suite 400 N Las Vegas, NV 89169 Counsel for Defendants /s/ Jason R. Maier JOSEPH A. GUTIERREZ, ESQ. Nevada Bar No. 9046 JASON R. MAIER, ESQ. Nevada Bar No. 8557 8816 Spanish Ridge Avenue Las Vegas, NV 89148 Counsel for Plaintiff Daniel M. Burgess 5 6 8 Greenberg Traurig, LLP 3773 Howard Hughes Parkway - Suite 400 North Las Vegas, Nevada 89109 (702) 792-3773 (702) 792-9002 (fax) 9 10 11 12 13 14 15 DATED this 11th day of July, 2017. 18 /s/ Adam Levine DANIEL MARKS, ESQ. Nevada Bar No. 2003 ADAM LEVINE, ESQ. Nevada Bar No. 4673 610 South Ninth St. Las Vegas, NV 89101 Counsel for Plaintiff Anthony Russo 16 17 19 20 21 22 LAW OFFICE OF DANIEL MARKS 23 24 IT IS SO ORDERED. 25 26 27 28 UNITED STATES DISTRICT JUDGE LV 420948873v1 120810.011700 2 20 DATED this ___ day of July, 2017.

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?