Holden v. State of Nevada et al

Filing 75

ORDER granting ECF No. 74 Stipulation to Extend Deadline for Dispositive Motions to 2/14/2018. Signed by Magistrate Judge William G. Cobb on 2/8/2018. (Copies have been distributed pursuant to the NEF - KW)

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Case 3:16-cv-00064-MMD-WGC Document 74 Filed 02/07/18 Page 1 of 3 1 2 3 4 5 6 7 8 9 ADAM PAUL LAXALT Attorney General GERRI LYNN HARDCASTLE, Bar No. 13142 Deputy Attorney General State of Nevada Bureau of Litigation Public Safety Division 100 N. Carson Street Carson City, NV 89701-4717 Tel: 775-684-1134 Email: ghardcastle@ag.nv.gov Attorneys for Defendants Romeo Aranas, Isidro Baca, James Cox, Timothy Filson, Jerry Howell, Adam Laxalt, E.K. McDaniel, Jennifer Nash, Dwight Neven, Brian Sandoval and Harold Wickham 10 11 UNITED STATES DISTRICT COURT 12 DISTRICT OF NEVADA 13 JIM BASS HOLDEN, 14 Case No. 3:16-cv-00064-MMD-WGC Plaintiff, STIPULATION TO EXTEND DEADLINE FOR DISPOSITIVE MOTIONS 15 v. 16 STATE OF NEVADA EX REL NEVADA DEPARTMENT OF CORRECTIONS, et al., 17 Defendants. 18 19 Plaintiff Jim Bass Holden, by and through counsel, Travis N. Barrick, Esq., and Defendants, 20 Romeo Aranas, Isidro Baca, James Cox, Timothy Filson, Jerry Howell, Adam Laxalt, E.K. McDaniel, 21 Jennifer Nash, Dwight Neven, Brian Sandoval and Harold Wickham (Defendants), by and through 22 counsel, Adam Paul Laxalt, Attorney General of the State of Nevada, and Gerri Lynn Hardcastle, Deputy 23 Attorney General, hereby stipulate and agree, pursuant to FED. R. CIV. P. 6(b)(1), that the deadline for 24 filing dispositive motions in the above-captioned action should be extended by seven (7) days from the 25 current deadline, for a new deadline of Wednesday, February 14, 2018. 26 /// 27 /// 28 /// 1 Case 3:16-cv-00064-MMD-WGC Document 74 Filed 02/07/18 Page 2 of 3 1 This Stipulation to Extend Deadline for Dispositive Motions is executed pursuant to the agreement 2 of the parties that additional time is needed for dispositive motions in this matter. Furthermore, parties 3 agree that because of defense counsel’s sudden illness, additional time is warranted. Accordingly, the 4 parties assert that the requisite good cause is present to justify extension pursuant to FED. R. CIV. P. 5 6(b)(1). Therefore, the parties respectfully request that this Court extend the dispositive motions 6 deadline through and until February 14, 2018. *** 7 8 DATED this 7th day of February, 2018. DATED this 7th day of February, 2018. 9 ADAM PAUL LAXALT Attorney General 10 11 12 13 14 By: __/s/ Travis N. Barrick___________ TRAVIS N. BARRICK, ESQ. Gallian Welker & Beckstrom, LC Attorneys for Plaintiff Holden By: 15 16 17 18 _________________________ GERRI LYNN HARDCASTLE Deputy Attorney General Bureau of Litigation Public Safety Division Attorneys for Defendants IT IS SO ORDERED: 19 _____________ UNITED STATES MAGISTRATE JUDGE 20 February 8, 2018 DATED: ________________________ 21 22 23 24 25 26 27 28 2

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