Naehu et al v. Glasper et al

Filing 12

ORDER granting 11 Stipulation to Extend United States Deadline to File Response to Plaintiffs Complaint (First Request). Plaintiff and the United States, through undersigned counsel, agree and stipulate that the United States time to respond to the Plaintiffs Complaint shall be extended to December 18, 2024. IT IS SO ORDERED. Signed by Magistrate Judge Brenda Weksler on 11/25/2024. (Copies have been distributed pursuant to the NEF - CAH)

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1 JASON M. FRIERSON United States Attorney 2 District of Nevada Nevada Bar No. 7709 3 KARISSA D.NEFF 4 Assistant United States Attorney Nevada Bar No. 9133 5 501 Las Vegas Blvd. So., Suite 1100 Las Vegas, Nevada 89101 6 Phone: (702) 388-6336 Karissa.Neff@usdoj.gov 7 Attorneys for the United States 8 9 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 10 Lelend Naehu; and K.N., a minor, by and 11 through her Guardian Ashlee Naehu, Case No. 2:24-cv-01705-CDS-BNW 12 Stipulation to Extend United States’ Deadline to File Response to Plaintiff’s Complaint 13 Plaintiffs, v. 14 Jamar Lakeith Glasper, an individual; United States of America, through the 15 United States Postal Service, an agency of the Government of the United States of 16 America, DOES 1 through 10, inclusive; and ROE Business Entities 1 through 10 17 inclusive, 18 19 (First Request) Defendants. Plaintiff, Ashlee Naehu, through counsel and the United States of America on 20 behalf of Federal Defendants, through undersigned counsel, hereby stipulate and agree as 21 follows: 22 1. Plaintiff filed the Complaint on September 12, 2024 (ECF No. 1-1). 23 2. Plaintiff served the United States with a copy of the Summons and 24 Complaint on September 30, 2024. 25 3. The current deadline for the United States to respond to the Plaintiff’s 26 Complaint is November 29, 2024. 27 28 1 Plaintiff and the United States, through undersigned counsel, agree and stipulate 2 that the United States’ time to respond to the Plaintiff’s Complaint shall be extended to 3 December 18, 2024. 4 The extension of time is necessary for the United States’ counsel to obtain and 5 review the relevant information relating to the alleged traffic incident from the United 6 States Postal Service to properly respond to the allegations in Plaintiff’s complaint. 7 Therefore, the parties request that the Court extend the deadline for the United 8 States to file a responsive pleading to Plaintiff’s Complaint to December 18, 2024. 9 This stipulated request is filed in good faith and not for the purpose of undue delay. 10 Respectfully submitted this 22nd day of November 2024 11 JASON M. FRIERSON United States Attorney 12 13 14 15 16 17 /s/ Ralph A. Schwartz_______________ RALPH A. SCHWARTZ, ESQ. 400 South Seventh Street, Suite 100 Las Vegas, Nevada 89101 /s/ Karissa D. Neff KARISSA D. NEFF Assistant United States Attorney Attorneys for the United States Attorney for Plaintiff IT IS SO ORDERED: 18 19 20 21 UNITED STATES MAGISTRATE JUDGE 11/25/2024 DATED: _____________________________ 22 23 24 25 26 27 28 2

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