Enos v. Douglas County et al

Filing 135

ORDER granting ECF No. 134 Stipulation. The Proposed Joint Pretrial Order is due by Thursday, August 20, 2020. Signed by Chief Judge Miranda M. Du on 6/11/2020. (Copies have been distributed pursuant to the NEF - AB)

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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-CLB Plaintiff, 11 vs. 13 14 15 16 17 18 19 DOUGLAS COUNTY, a political subdivision of the State of Nevada; SCOTT SHICK, Chief Juvenile Probation Officer of the Juvenile Probation Department; VICTORIA SAUER-LAMB, Supervisor of the Juvenile Probation Department; DOE GOVERNMENTAL ENTITIES 1-10; DOE BUSINESS ENTITIES 1-10; and DOE INDIVIDUALS 4-50, STIPULATION AND ORDER TO EXTEND TIME TO FILE PROPOSED JOINT PRETRIAL ORDER (THIRD REQUEST) Defendants. 20 21 COMES NOW Plaintiff, JOHN ENOS, and Defendants, DOUGLAS COUNTY, SCOTT 22 SHICK, and VICTORIA SAUER-LAMB, by and through their undersigned attorneys of record, 23 and hereby request an additional sixty (60) days in which to file their proposed Joint Pre-Trial 24 Order. The proposed Joint Pretrial Order is currently due on Friday, June 19, 2020. The parties 25 26 27 28 are requesting an additional sixty (60) days through and including Thursday, August 20, 2020, in which to file the proposed Joint Pretrial Order. The parties stipulate and agree that the instant request is not made for the purpose of -1- 1 delay and that no party will be prejudiced should the Court grant same. The parties request the 2 additional time set forth herein due to ongoing issues associated with the COVID-19 pandemic 3 and its impact on counsels’ ability to work in their respective offices and to meet and confer over 4 the subject matter required in the Joint Pre-Trial Order. 5 6 In addition, the parties are pursuing settlement negotiations and wish to avoid the costs 7 and attorneys’ fees associated with preparation of the Joint Pre-Trial Order while attempting to 8 resolve the case through settlement. 9 10 DATED this 11th day of June, 2020. DATED this 11th day of June, 2020. THE GEDDES LAW FIRM, P.C. THORNDAL ARMSTRONG DELK BALKENBUSH & EISINGER By: / s / William Geddes_________ William J. Geddes, Esq. Kristen Geddes, Esq. 1575 Delucchi Lane, Suite 206 Reno, Nevada 89502 (775) 853-9455 will@thegeddeslawfirm.com Kristen@thegeddeslawfirm.com 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 11 12 13 14 15 16 17 18 DATED this 11th day of June, 2020. 19 THE PALMER LAW FIRM, P.C. 20 By: / s / Raelene K. Palmer, Esq. _____ Raelene K. Palmer, Esq. 5550 Painted Mirage Road, #320 Las Vegas, Nevada 89149 (702) 952-9533 rpalmer@plflawyers.com Attorneys for Plaintiff John Enos 21 22 23 24 25 ORDER 26 IT IS SO ORDERED. 27 DATED ____________________, 2020. June 11 28 ___________________________________ DISTRICT COURT JUDGE -2-

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