Enos v. Douglas County et al

Filing 147

AMENDED ORDER re ECF No. 146 Order to Enlarge Time : Proposed Joint Pretrial Order due by Friday, 1/8/2021. Signed by Chief Judge Miranda M. Du on 12/29/2020. (Copies have been distributed pursuant to the NEF - DRM)

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Case 3:17-cv-00095-MMD-CLB Document 147 Filed 12/29/20 Page 1 of 2 1 WILLIAM J. GEDDES Nevada Bar No. 6984 2 KRISTEN R. GEDDES Nevada Bar No. 9027 3 THE GEDDES LAW FIRM, P.C. 1575 Delucchi Lane, Suite 206 4 Reno, NV 89502 Phone: (775) 853-9455 5 Fax: (775) 299-5337 Email: Will@TheGeddesLawFirm.com 6 Email: Kristen@TheGeddesLawFirm.com Attorneys for Plaintiff John Enos 7 RAELENE K. PALMER 8 Nevada Bar No. 8602 THE PALMER LAW FIRM, P.C. 9 5550 Painted Mirage Road, Suite 320 Las Vegas, Nevada 89149 10 Phone: (702) 952-9533 Email: rpalmer@plflawyers.com.com 11 Attorneys for Plaintiff John Enos The Geddes Law Firm, P.C. 1575 Delucchi Lane, Suite 206 Reno, NV 89502 Phone 775-853-9455 12 UNITED STATES DISTRICT COURT 13 DISTRICT OF NEVADA 14 JOHN ENOS, an individual, 15 CASE NO: 3:17-cv-00095-MMD-CLB Plaintiff, 16 vs. AMENDED STIPULATION AND [PROPOSED] ORDER TO ENLARGE TIME TO FILE PROPOSED JOINT PRETRIAL ORDER 17 DOUGLAS COUNTY, a political subdivision of the State of Nevada; SCOTT SHICK, Chief 18 Juvenile Probation Officer of the Juvenile 19 20 21 22 23 24 25 26 27 Probation Department; et al. (Eighth Request) Defendants. COMES NOW Plaintiff JOHN ENOS and Defendants DOUGLAS COUNTY, SCOTT SHICK, and VICTORIA SAUER-LAMB, by and through their undersigned attorneys of record, and hereby request a 16-day enlargement of time for the parties to file their proposed Joint Pretrial Order (JPTO). The proposed JPTO is currently due on Wednesday, December 23, 2020. The parties are continuing to prepare the JPTO in this matter. The parties have exchanged additional drafts of their respective proposed pre-trial orders and are continuing to confer on the stipulations and other matters. The parties believe that an additional brief extension is required; 28 1 Case 3:17-cv-00095-MMD-CLB Document 147 Filed 12/29/20 Page 2 of 2 1 however, with the upcoming Christmas and New Year’s holidays, the parties request time beyond the 2 New Year’s holiday in order to accommodate the intervening holidays. The parties represent to the 3 Court that they take seriously the obligation to arrive at stipulations concerning, issues of fact, law and 4 exhibits, and the parties require additional time to meet and confer on these issues in order to do so. 5 Consequently, the parties request an additional extension of time, up to and including Friday, January 2021 6 8, 2020. 7 This is the parties’ eighth request to extend this deadline, and the parties submit that this request 8 is not for the purpose of undue delay. 9 Dated this 29th day of December 2020. 10 11 The Geddes Law Firm, P.C. 1575 Delucchi Lane, Suite 206 Reno, NV 89502 Phone 775-853-9455 12 13 14 THE GEDDES LAW FIRM, P.C. By: KRISTEN R. GEDDES Nevada Bar Number 9027 1575 Delucchi Lane, Suite 206 Reno, Nevada 89502 Phone: (775) 853-9455 Attorneys for Plaintiff John Enos 15 Dated this 29th day of December 2020. 16 17 THORNDAL ARMSTRONG DELK BALENBUSH & EISINGER 18 Electronic Signature Authorized 19 By: /s/ Katherine F. Parks, Esq. 6590 S. McCarran Blvd, Suite B Reno, Nevada 89509 Phone: (775) 786—2882 Attorneys for Defendants 20 21 22 II. 23 ORDER 24 25 26 IT IS SO ORDERED. Dated: December 29, 2020 27 UNITED STATES DISTRICT JUDGE 28 2

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