Guardado v. State of Nevada Ex Rel et al

Filing 79

ORDER re 78 Motion to Extend re 76 Order. Status Conference set for 10/7/2019 at 11:00 AM in LV Courtroom 3D before Magistrate Judge Cam Ferenbach. Signed by Magistrate Judge Cam Ferenbach on 8/20/2019. (Copies have been distributed pursuant to the NEF - JM)

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1 2 3 4 5 6 7 8 AARON D. FORD Attorney General HENRY H. KIM (Bar No. 14390) Deputy Attorney General State of Nevada Office of the Attorney General 555 E. Washington Ave., Ste. 3900 Las Vegas, Nevada 89101 (702) 486-3095 (phone) (702) 486-3773 (fax) Email: hkim@ag.nv.gov Attorneys for Defendants Antonio Bryant, James Dzurenda, Morris Guice, Dwight Neven, and David Tristan 9 10 UNITED STATES DISTRICT COURT 11 DISTRICT OF NEVADA 12 Ernest Guardado, 13 Case No. 2:17-cv-01072-JAD-VCF Plaintiff, 14 15 MOTION FOR EXTENSION OF TIME TO SUBMIT PROPOSED STIPULATION TO DISMISS (FIRST REQUEST) v. State of Nevada ex rel, 16 Defendants. 17 Defendants Antonio Bryant, James Dzurenda, Morris Guice, Dwight Neven, and 18 David Tristan, by and through counsel, Aaron D. Ford, Nevada Attorney General, and 19 Henry H. Kim, Deputy Attorney General, hereby file this Motion for Extension of Time to 20 Submit Proposed Stipulation to Dismiss pursuant to this Court’s Minute Order (ECF No. 21 76). This Motion is made and based upon the following memorandum of points and 22 authorities, the pleadings and papers on file herein, and any other evidence the Court 23 deems appropriate to consider in this matter. 24 25 26 /// 27 /// 28 /// 30 Page 1 of 3 Case 2:17-cv-01072-JAD-VCF Document 78 Filed 08/19/19 Page 2 of 3 1 I. INTRODUCTION 2 On July 19, 2019, parties reached a settlement at the Early Mediation Conference. 3 (ECF No. 76). The Court ordered that proposed stipulation to dismiss be submitted by 4 August 19, 2019. (ECF No. 76). Parties are still finalizing the terms of the settlement 5 agreement. 6 II. ARGUMENT 7 Defendants respectfully request that this Court grant additional 45 days to submit 8 a proposed stipulation to dismiss so that parties can finalize the terms of the settlement 9 agreement. 10 11 12 13 III. CONCLUSION For the foregoing reasons, Defendants respectfully request that this Court grant additional 45 days to submit a proposed stipulation to dismiss. DATED this 19th day of August, 2019. 14 Respectfully submitted, 15 AARON D. FORD Attorney General 16 17 By: 18 /s/ Henry H. Kim HENRY H. KIM (Bar No. 14390) Deputy Attorney General Attorneys for Defendants 19 20 21 IT IS HEREBY ORDERED that a status hearing is scheduled for 11:00 AM, October 7, 2019, in Courtroom 3D. 22 23 24 25 26 27 8-20-2019 28 30 Page 2 of 3 1 CERTIFICATE OF SERVICE 2 I certify that I am an employee of the State of Nevada, Office of the Attorney General, 3 and that on August 19, 2019, I electronically filed the foregoing MOTION FOR 4 EXTENSION OF TIME TO SUBMIT PROPOSED STIPULATION TO DISMISS via 5 this Court’s electronic filing system. Parties that are registered with this Court’s electronic 6 filing system will be served electronically. For those parties not registered, service was 7 made by depositing a copy for mailing in the United States Mail, first-class postage prepaid, 8 at Las Vegas, Nevada to the following: 9 Ernest Guardado #79950 High Desert State Prison PO Box 650 Indian Springs, NV 89070 Plaintiff, Pro Se 10 11 12 13 /s/ Diane Resch Diane Resch, an employee of the Office of the Nevada Attorney General 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 30 Page 3 of 3

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