Dorsey v. Esper

Filing 27

ORDER Granting 26 First Stipulation for Extension of Time Re: 22 Renewed Motion to Dismiss. Defendant's Replies due by 8/22/2018. Signed by Judge Andrew P. Gordon on 8/16/2018. (Copies have been distributed pursuant to the NEF - SLD)

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1 2 3 DAYLE ELIESON United States Attorney District of Nevada 6 KRYSTAL J. ROSSE Assistant United States Attorney Nevada Bar No. 11573 501 Las Vegas Boulevard South, Suite 1100 Las Vegas, Nevada 89101 Telephone: 702-388-6336 Email: krystal.rosse@usdoj.gov 7 Attorneys for the United States. 4 5 8 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 THOMAS DORSEY, 12 13 14 Plaintiff, v. MARK T. ESPER, in his capacity as the United States Secretary of the Army, 15 Defendant. 16 ) ) Case No. 2:18-cv-00209-APG-NJK ) ) STIPULATION FOR EXTENSION OF ) TIME FOR FEDERAL DEFENDANT ) TO FILE REPLY IN SUPPORT OF ) RENEWED MOTION TO DISMISS ) (ECF No. 22) ) ) (First Request) ) 17 Plaintiff Thomas Dorsey and Federal Defendant Mark T. Esper, in his capacity as the 18 United States Secretary of the Army, by and through their counsel of record, hereby stipulate 19 and agree to extend the time for Federal Defendant to file his Reply in Support of his Renewed 20 Motion to Dismiss (ECF No. 22) (“Motion”) by two days to August 22, 2018. Plaintiff filed his 21 Opposition (ECF No. 25) on August 13, 2018, and in accordance with LR 7-2(b), Federal 22 Defendant’s response is currently due on August 20, 2018. This is the first request to extend this 23 deadline. 24 There is good cause for entering into this stipulation for this brief extension that will still 25 allow the Motion to be fully briefed prior to the parties’ ENE. Agency counsel for Federal 26 Defendant is currently tied up on another matter and is unable to assist in responding to new 27 information raised in Plaintiff’s Opposition until Monday, August 20, 2018, the current due date 28 for Federal Defendant’s reply. This request is made in good faith and not for purposes of delay. 1 1 2 3 4 For the reasons set forth above, the parties respectfully request the Court grant this brief extension. Respectfully submitted this 16th day of August 2018. Law Offices of Robert P. Spretnak DAYLE ELIESON United States Attorney /s/ Krystal J. Rosse KRYSTAL J. ROSSE Assistant United States Attorney 7 /s/ Robert P. Spretnak ROBERT P. SPRETNAK 8275 S. Eastern Avenue, Suite 200 Las Vegas, Nevada 89123 8 Attorneys for Plaintiff Attorneys for the United States 5 6 9 10 11 IT IS SO ORDERED: 12 13 14 UNITED STATES DISTRICT JUDGE UNITED STATES MAGISTRATE JUDGE Dated: August 16, 2018. 15 DATED: 16 17 18 19 20 21 22 23 24 25 26 27 28 2

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