Thomas v. Cox et al

Filing 205

ORDER Granting ECF No. 204 Stipulation. A Stipulation dismissing this action is due by September 17, 2021. Signed by Magistrate Judge Carla Baldwin on 9/7/2021. (Copies have been distributed pursuant to the NEF - SMR)

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Case 3:13-cv-00508-RCJ-CLB Document 205 Filed 09/07/21 Page 1 of 2 1 J. Stephen Peek (1758) Jon T. Pearson (10182) 2 Holland & Hart LLP 9555 Hillwood Drive, 2nd Floor 3 Las Vegas, NV 89134 702.669.4600 4 702.669.4650 fax speek@hollandhart.com 5 jtpearson@hollandhart.com 6 Counsel for Plaintiff David Jonathan Thomas 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 David Jonathan Thomas, Plaintiff, 10 HOLLAND & HART LLP 9555 HILLWOOD DRIVE, 2ND FLOOR LAS VEGAS, NV 89134 11 v. 12 Case No. 3:13-cv-00508-RCJ-CLB Stipulation and Order Extending the Deadline to Submit a Stipulation Dismissing this Lawsuit Isidro Baca, et al., 13 Defendants. 14 15 The above-captioned parties stipulate and agree as follows: 16 1. On August 4, 2021, the parties participated in a settlement conference before 17 Magistrate Judge Carla Baldwin. The conference resulted in a settlement, and the material terms 18 were placed on the record by the Court. The Court later entered its minutes and directed the 19 parties to file a stipulation dismissing this action no later than September 3, 2021. (ECF No. 203). 20 2. Defendants have prepared a proposed settlement agreement, and counsel for 21 plaintiff David Thomas has had relatively minor comments to that agreement. Under the proposed 22 settlement agreement, however, Mr. Thomas will need to personally sign. Counsel for Mr. 23 Thomas has scheduled an in-person meeting with Mr. Thomas on September 11. This was the 24 soonest that counsel for Mr. Thomas could drive to Carson City, sit down with Mr. Thomas to go 25 over the settlement agreement, and obtain Mr. Thomas’s signature. 26 3. For these reasons, the parties request that the deadline to submit a stipulation 27 dismissing this action be extended from September 3, 2021 to September 17, 2021. 28 1 Case 3:13-cv-00508-RCJ-CLB Document 205 Filed 09/07/21 Page 2 of 2 1 IT IS SO STIPULATED. 2 Dated: September 3, 2021. 3 4 5 6 7 8 /s/ Jon T. Pearson J. Stephen Peek Jon T. Pearson Holland & Hart LLP 9555 Hillwood Drive, 2nd Floor Las Vegas, NV 89134 Counsel for Plaintiff David Jonathan Thomas 9 /s/ Douglas R. Rands Aaron D. Ford Attorney General Douglas R. Rands Senior Deputy Attorney General State of Nevada Public Safety Division 100 N. Carson Street Carson City, NV 89701–4717 Counsel for Defendants Isidro Baca, Scott Kahler, Kathryn Reynolds, James Stogner, and Elizabeth “Lisa” Walsh 10 HOLLAND & HART LLP 9555 HILLWOOD DRIVE, 2ND FLOOR LAS VEGAS, NV 89134 11 12 13 IT IS SO ORDERED. 14 15 __________________________________ UNITED STATES MAGISTRATE JUDGE 16 17 September 7, 2021 Dated: ___________________________ 18 19 20 17335456_v1 21 22 23 24 25 26 27 28 2

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