Enos v. Douglas County et al

Filing 120

ORDER granting ECF No. 119 Stipulation to Extend Time : Replies to ECF Nos. 114 , 115 Responses re ECF Nos. 106 , 107 Motions for Partial Summary Judgment due by 10/15/2019. Signed by Chief Judge Miranda M. Du on 9/23/2019. (Copies have been distributed pursuant to the NEF - DRM)

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1 2 3 4 5 6 Katherine F. Parks, Esq. - State Bar No. 6227 Thorndal Armstrong Delk Balkenbush & Eisinger 6590 S. McCarran Blvd., Suite B Reno, Nevada 89509 (775) 786-2882 kfp@thorndal.com Attorneys for Defendants DOUGLAS COUNTY, SCOTT SHICK, AND VICTORIA SAUER-LAMB 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 10 JOHN ENOS, an individual, 12 CASE NO. 3:17-cv-00095-MMD-VPC Plaintiff, 11 vs. 13 14 15 16 17 18 19 20 21 DOUGLAS COUNTY, a political subdivision of the State of Nevada; SCOTT SHICK, Chief Juvenile Probation Officer of the Juvenile Probation Department; VICTORIA SAUERLAMB, Supervisor of the Juvenile Probation Department; NATHAN TOD YOUNG, Judge of the Ninth Judicial District Court of the State of Nevada; MICHAEL GIBBONS, Former Judge of the Ninth Judicial District Court of Nevada; THE STATE OF NEVADA ex rel. Nathan Todd Young and Michael Gibbons; DOE GOVERNMENTAL ENTITIES 1-10; DOE BUSINESS ENTITIES 1-10; and DOE INDIVIDUALS 4-50, STIPULATION AND [PROPOSED] ORDER TO EXTEND TIME TO FILE REPLY TO OPPOSITIONS TO MOTIONS FOR PARTIAL SMMARY JUDGMENT [ECF Nos. 114 and 115] [Second Request] 22 23 Defendants. 24 25 COME NOW Defendants, DOUGLAS COUNTY, SCOTT SHICK, and VICTORIA 26 SAUER-LAMB, and Plaintiff, JOHN ENOS, by and through their attorneys of record, and 27 hereby request an extension of time for the parties to file their replies to oppositions to the 28 motions for partial summary judgment [ECF Nos. 114 and 115]. -1- 1 The oppositions are currently due on October 1, 2019, and the parties request an 2 additional two week extension of time through and until October 15, 2019, to file their replies to 3 oppositions to the motions for partial summary judgment. This is the parties’ second request to 4 extend said deadline. The parties submit that this second request is not for the purpose of undue 5 delay but is related to caseload and calendaring issues, staffing issues recently experienced by 6 the law firm for counsel for the Defendants, and out of State travel for defense counsel. 7 DATED this 23rd day of September, 2019. DATED this 23rd day of September, 2019. THE GEDDES LAW FIRM, P.C. THORNDAL ARMSTRONG DELK BALKENBUSH & EISINGER By: / s / William Geddes_________ William J. Geddes, Esq. Kristen Geddes, Esq. 8600 Technology Way, Suite 107 Reno, Nevada 89521 (775) 853-9455 By: / s / Katherine F. Parks __________ Katherine F. Parks, Esq. State Bar No. 6227 6590 S. McCarran Blvd., Suite B Reno, Nevada 89509 (775) 786-2882 kfp@thorndal.com Attorneys for Defendants DOUGLAS COUNTY, SCOTT SHICK, AND VICTORIA SAUER-LAMB 8 9 10 11 12 13 14 15 DATED this 23rd day of September, 2019. 16 THE PALMER LAW FIRM, P.C. 17 By: / s / Raelene K. Palmer, Esq. _____ Raelene K. Palmer, Esq. 5550 Painted Mirage Road, Suite 320 Las Vegas, Nevada 89149 (702) 952-9533 rpalmer@plflawyers.com Attorneys for Plaintiff John Enos 18 19 20 21 22 23 ORDER 24 25 IT IS SO ORDERED. 26 September 23 DATED ____________________, 2019. 27 28 ___________________________________ DISTRICT COURT JUDGE -2-

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