Sanchez et al v. Cegavske et al

Filing 73

ORDER granting ECF No. 72 Stipulation for Extension of Time to Respond to Motion for Attorneys' Fees ECF No. 61 . Response due by 11/23/2016. Signed by Judge Miranda M. Du on 10/31/2016. (Copies have been distributed pursuant to the NEF - KW)

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1 2 3 4 5 * BRENT L. RYMAN, ESQ. (#008648) CHARITY F. FELTS, ESQ. (#010581) ERICKSON, THORPE & SWAINSTON, LTD. 99 West Arroyo Street P.O. Box 3559 Reno, Nevada 89505 Telephone: (775) 786-3930 Attorneys for Mineral County Defendants 6 7 8 9 10 IN THE UNITED STATES DISTRICT COURT 11 FOR THE DISTRICT OF NEVADA 12 13 14 15 BOBBY D. SANCHEZ, VINTON HAWLEY, JOHNNY WILLIAMS, JR., ROBERT JAM ES, AND R A LPH BURNS, Case No.: 3:16-cv-00523-MMD-VPC STIPULATION AND [PROPOSED] ORDER FOR EXTENSION OF TIME TO RESPOND TO MOTION FOR ATTORNEYS’ FEES (#61) 16 Plaintiffs, 17 v. 18 19 20 21 BARBARA K. CEGAVSKE, IN HER OFFICIAL CAPACITY AS SECRETARY OF STATE FOR THE STATE OF NEVADA, et al., Defendants. __________________________________/ 22 23 COMES NOW, Defendants, COUNTY OF MINERAL, a political subdivision of the 24 State of Nevada, along with its Board of Commissioners, NANCY BLACK, PAUL 25 MacBETH and JERRY TIPTON, and its Clerk-Treasurer CHRISTOPER NEPPER, in their 26 official capacities (hereinafter the “Mineral County Defendants”), by and through their 27 Attorneys of Record, ERICKSON, THORPE & SWAINSTON, LTD., BRENT L. 28 RYMAN, ESQ., and CHARITY F. FELTS, ESQ., and Plaintiffs, by and through their 1 1 Attorneys of Record, MILLER LAW, INC., and RENDAL B. MILLER, ESQ., and hereby 2 stipulate to an extension up to and including November 23, 2016, in which for the Mineral 3 County Defendants to respond to Plaintiffs’ Motion for Attorneys’ Fees and Costs (#61). 4 No previous extensions have been requested from or granted by this Court regarding 5 the response to this Motion; however, the parties have requested and received an extension 6 of time for these Defendants to answer or otherwise appear in response to Plaintiffs’ 7 Complaint of the same date. The State and Washoe County Defendants have already 8 requested and received the same extension requested in this stipulation. The signing parties 9 certify this stipulation has been reached in good faith, for the purposes of assessing the course 10 of the actions ordered by this Court in the form of a preliminary injunction and engaging in 11 informed settlement discussions thereon, as well as saving the potentially-unnecessary time 12 and expense of preparing a response to Plaintiffs’ Motion for Attorneys’ Fees, and is not 13 meant for the purposes of undue delay. DATED this 31st day of October, 2016. 14 15 MILLER LAW, INC. 16 17 ____/s/ Rendal Miller__________________ RENDAL B. MILLER, ESQ. (#012257) 115 West Fifth Street, Box 7 Winnemucca, Nevada 89445 Telephone (775) 623-5000 Attorneys for Plaintiffs 18 19 20 21 /// 22 /// 23 /// 24 /// 25 /// 26 /// 27 /// 28 /// 2 DATED this 31st day of October, 2016. 1 2 ERICKSON, THORPE & SWAINSTON, LTD. 3 4 /s/ Brent Ryman BRENT L. RYMAN, ESQ. (#008648) CHARITY F. FELTS, ESQ. (#010581) ERICKSON, THORPE & SWAINSTON, LTD. 99 West Arroyo Street P.O. Box 3559 Reno, Nevada 89505 Telephone: (775) 786-3930 Attorneys for the Mineral County Defendants 5 6 7 8 9 /// 10 /// 11 ORDER 12 IT IS HEREBY ORDERED that the Mineral County Defendants shall have an 13 extension of time until November 23, 2016, within which to respond to Plaintiff’s Motion for 14 Attorneys’ Fees and Costs (#61). October 31st DATED this ___ day of _________________, 2016. 15 16 17 ______________________________________ UNITED STATES DISTRICT COURT 18 19 20 21 22 23 24 25 26 27 28 3 1 CERTIFICATE OF SERVICE 2 Pursuant to FRCP Rule 5, I certify that I am an employee of ERICKSON, THORPE & 3 SWAINSTON, LTD. and that on this day I caused to be served a true and correct copy of the 4 attached document by: 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 G G G G x U.S. Mail Facsimile Transmission Personal Service Messenger Service CMECF addressed to the following: Rendal B. Miller, Esq. Miller Law, Inc. 115 West Fifth Street, Box 7 Winnemucca, Nevada 89445 Attorneys for Plaintiffs Adam Paul Laxalt, Esq. Attorney General Lori M. Story, Esq. Senior Deputy Attorney General 100 North Carson Street Carson City, Nevada 89701 Attorneys for Defendant, Secretary of State Christopher J. Hicks, Esq. Washoe County District Attorney Michael W. Large, Esq. Washoe County Deputy District Attorney P.O. Box 11130 Reno, Nevada 89520 Attorneys for Washoe County Defendants DATED this 31st day of October, 2016. 22 /s/ Brent Ryman Brent Ryman 23 24 25 26 27 28 4

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