Tripp v. Clark County et al
Filing
226
AMENDED ORDER granting 222 Stipulation Re: 197 , 198 , 199 , 200 , 201 Motions for Summary Judgment, Responses due by 3/14/2022. Signed by Judge James C. Mahan on 2/14/2022. (Copies have been distributed pursuant to the NEF - HAM)
Case 2:17-cv-01964-JCM-BNW Document 225 Filed 02/14/22 Page 1 of 3
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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
5 Email: thatfield@hatfieldlawassociates.com
Attorney for Plaintiff In conjunction with Legal Aid
6 Center of Southern Nevada Pro Bono Project
7
UNITED STATES DISTRICT COURT
8
DISTRICT OF NEVADA
9
HATFIELD & ASSOCIATES, LTD.
703 S.8th Street * Las Vegas, Nevada 89101
Telephone (702) 388-4469
10
JUSTIN L. TRIPP,
11
Plaintiff,
12
13
vs.
CLARK COUNTY, et al
14
Defendants.
CASE NO: 2:17-cv-01964-JCM-BNW
AMENDED STIPULATION AND
ORDER TO EXTEND TIME FOR
PLAINTIFF TO RESPOND TO
DEFENDANTS’ MOTIONS FOR
SUMMARY JUDGMENT
(Fifth Request)
15
COMES NOW, Plaintiff Justin Tripp (“Plaintiff”), by and through his counsel, the law
16
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firm of Hatfield & Associates., Ltd., appearing pro bono publico, and Defendant Cesar Esparza,
18 Defendant Las Vegas Metropolitan Police Department, Defendants Michael Rose and Jacqulyn
19 Schumaker and Defendants LVMPD Sergeants’ (hereinafter “LVMPD Defendants”) by and
20
through their counsel, the law firm of Kaempfer Crowell, and Defendant NaphCare, Inc.,
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Defendant Harry Duran, M.D., Defendant Eric Lopez, P.A., Defendant Rachel Scheiblich,
22
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Defendant Kendra Meyer, and Defendant Raymond Mondora, (hereinafter “NaphCare
24 Defendants”), by and through their counsel, the law firm of Lauria Tokunaga Gates & Linn,
25 LLP, and hereby stipulate and agree to extend the time for Plaintiff to Respond to the following
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Defendants’ Motions for Summary Judgment, due on February 11, 2022, to March 14, 2022:
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1. Defendant Cesar Esparza’s Motion for Summary Judgment [ECF #198];
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///
Case 2:17-cv-01964-JCM-BNW Document 225 Filed 02/14/22 Page 2 of 3
226
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2. Defendant Las Vegas Metropolitan Police Department’s Motion for Summary Judgment
[ECF #199];
3. Defendants Michael Rose’s and Jacqulyn Schumaker’s Motion for Summary Judgment
[ECF #200];
4. Defendants’ LVMPD Sergeants’ Motion for Summary Judgment [ECF #201].
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5. NaphCare Defendants’ Motion for Summary Judgment [ECF #197].
This request is submitted pursuant to LR IA 6-1, 6-2 and 7-1 and is the parties’ fifth
703 8th Street * Las Vegas, Nevada 89101
Telephone (702) 388-4469
HATFIELD & ASSOCIATES, LTD.
9 request for an extension of time for Plaintiff to respond to Defendants’ Motions for Summary
10 Judgment.
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Good cause exists for this extension. Plaintiff's counsel is requesting a thirty (30) day
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extension of time up to and including March 14, 2022 (as the thirtieth day is a Sunday), to
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14 respond to all parties' Motions for Summary Judgment as Plaintiff is incarcerated,
15 communication must be scheduled, and the volume of the motions. Plaintiff was not permitted
16 to take his legal documents with him in transit. Therefore, Plaintiff’s counsel had to mail his
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legal documents to his new prison location. In addition, Plaintiff’s counsel’s staff was absent for
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nearly one month’s time due to contracting Covid-19 and has only recently been back to work.
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Defendants have courteously granted this extension of time for Plaintiff to file his
21 Responses. Accordingly, Plaintiff shall have up to and including March 14, 2022, to respond
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///
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///
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26 ///
27 ///
28 ///
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Case 2:17-cv-01964-JCM-BNW Document 225 Filed 02/14/22 Page 3 of 3
226
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to Defendants’ Motions for Summary Judgment [ECF #197], [ECF #198], [ECF #199], [ECF
2 #200] and [ECF #201].
3 DATED this 11th day of February, 2022
DATED this 11th day of February, 2022
4 HATFIELD & ASSOCIATES
5
By:
/s/ Trevor J. Hatfield
TREVOR J. HATFIELD, ESQ. (SBN 7373)
6
703 S. Eighth Street
Las Vegas, Nevada 89101
7
Email: thatfield@hatfieldlawassociates.com
Attorney for Plaintiff In Conjunction with
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Legal Aid Center of Southern Nevada Pro
Bono Project.
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KAEMPFER CROWELL
703 8th Street * Las Vegas, Nevada 89101
Telephone (702) 388-4469
HATFIELD & ASSOCIATES, LTD.
10
By:
/s/ Lyssa S. Anderson
LYSSA S. ANDERSON, ESQ. (SBN 5781)
RYAN W. DANIELS, ESQ. (SBN 13094)
1980 Festival Plaza Drive, Ste. 650
Las Vegas, Nevada 89135
Email: landerson@kcnvlaw.com
Email: rdaniels@kcnvlaw.com
Attorneys for Defendants Cesar Esparza,
Michael Rose, Jacqulyn Schumaker,
LVMPD Sergeants.
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DATED this 11th day of February, 2022
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LAURIA TOKUNAGA GATES & LINN, LLP
15 By:___/s/ Paul A. Cardinale_______
PAUL A. CARDINALE, ESQ. (SBN 8394)
16 1755 Creekside Oaks Drive, Suite 240
Sacramento, CA 95833
17
Email: pcardinale@ltglaw.net
Southern Nevada Office:
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601 South Seventh Street
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Las Vegas, NV 89101
Tel.: (702) 387-8633
20 Attorneys for NAPHCARE, INC., an Alabama Corporation; HARRY DURAN, M.D., in his
21 individual capacity; ERIC LOPEZ, P.A., in his individual capacity; RACHEL SCHEIBLICH
(formerly known as “RUDD”) in her individual capacity; KENDRA MEYER (formerly known as
22 SCHULTZ”) in her individual capacity, and RAYMOND MONDORA
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ORDER
27 IT IS SO ORDERED:
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UNITED STATES DISTRICT COURT JUDGE
Dated: February 14, 2022
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