Stewart v. Aranas, et al.
Filing
190
ORDER granting ECF No. 186 Stipulation for Extension of Time. Defendants shall have until December 19, 2023, to file their Reply to Plaintiff's Opposition to Defendants Motion to Strike Portions of Plaintiff's Reply. Signed by Chief Judge Miranda M. Du on 12/11/2023. (Copies have been distributed pursuant to the NEF - DLS)
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AARON D. FORD
Attorney General
LEO T. HENDGES (Bar No. 16034)
Senior Deputy Attorney General
JESSICA E. WHELAN (Bar No. 14781)
Senior Deputy Attorney General
State of Nevada
Office of the Attorney General
555 E. Washington Ave., Ste. 3900
Las Vegas, Nevada 89101
(702) 486-3795 (phone)
(702) 486-3773 (fax)
Email: lhendges@ag.nv.gov
jwhelan@ag.nv.gov
Attorneys for Defendants
Romeo Aranas and
Francisco Sanchez
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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LEWIS WILLIAM STEWART,
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Plaintiff,
Case No. 3:17-cv-00132-MMD-CLB
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STIPULATION AND PROPOSED
ORDER FOR SEVEN (7) DAY
EXTENSION OF TIME TO FILE
DEFENDANTS’ REPLY TO
PLAINTIFF’S OPPOSITION TO
DEFENDANTS’ RULE 50(b) RENEWED
MOTION FOR JUDGMENT AS A
MATTER OF LAW, ALTERNATIVE
RULE 59 MOTION FOR NEW TRIAL,
AND ALTERNATIVE REQUEST FOR
REMITTITUR (ECF NO. 174)
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(FIRST REQUEST FOR EXTENSION)
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v.
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ROMEO ARANAS, et al.,
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Defendants.
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The Parties, Plaintiff Lewis Williams Stewart, by and through counsel, Andre M.
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Lagomarsino, Esq. of Lagomarsino Law, and Defendants, Romeo Aranas and Francisco
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Sanchez, by and through counsel, Aaron D. Ford, Attorney General of the State of Nevada,
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Leo T. Hendges, Senior Deputy Attorney General, and Jessica E. Whelan, Senior Deputy
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Attorney General of the State of Nevada, hereby agree and stipulate to extend the time for
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Defendants to file their Reply Brief to Plaintiff’s Opposition to Defendants’ Rule 50(b)
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Renewed Motion for Judgment as a Matter of Law, Alternative Rule 59 Motion for New
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Trial, and Alternative Request for Remittitur (ECF No. 174) for seven days.
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Defendants’ Reply is currently due to be filed on Tuesday, December 12, 2023. With
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this seven-day stipulated extension, the new due date for the Reply Brief will be Tuesday,
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December 19, 2023.
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This is the Parties’ first request to extend the deadline.
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The Parties represent that this stipulation is sought in good faith, is not interposed
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for delay, and is not filed for an improper purpose. Indeed, the Parties have filed a separate
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stipulation requesting a settlement conference to occur as soon as possible (ECF No. 185).
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DATED this 11th day of December, 2023.
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LAGOMARSINO LAW
AARON D. FORD
Attorney General
By: /s/ Andre M. Lagomarsino
ANDRE M. LAGOMARSINO, ESQ.
Nevada Bar No. 6711
3005 W. Horizon Ridge Pkwy., #241
Henderson, Nevada 89052
By: /s/ Leo T. Hendges
LEO T. HENDGES, ESQ.
Nevada Bar No. 16034
JESSICA E. WHELAN, ESQ.
Nevada Bar No. 14781
555 E. Washington Ave., Ste. 3900
Las Vegas, Nevada 89101
DATED this 11th day of December, 2023.
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Attorney for Plaintiff Lewis Stewart
Attorneys for Defendants
Romeo Aranas and
and Brian Williams
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ORDER
SO ORDERED. Defendants shall have until December 19, 2023, to file their Reply
to Plaintiff’s Opposition to Defendants’ Motion to Strike Portions of Plaintiff’s Reply.
11th day of December, 2023.
Dated this _____
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____________________________________________
UNITED STATES DISTRICT JUDGE
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Page 2 of 3
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CERTIFICATE OF SERVICE
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I certify that I am an employee of the State of Nevada, Office of the Attorney General,
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and that on December 11, 2023, I electronically filed the foregoing STIPULATION AND
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PROPOSED ORDER FOR SEVEN (7) DAY EXTENSION OF TIME TO FILE
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DEFENDANTS’ REPLY TO PLAINTIFF’S OPPOSITION TO DEFENDANTS’
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RULE 50(b) RENEWED MOTION FOR JUDGMENT AS A MATTER OF LAW,
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ALTERNATIVE RULE 59 MOTION FOR NEW TRIAL, AND ALTERNATIVE
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REQUEST FOR REMITTITUR (ECF NO. 174) via this Court’s electronic filing system.
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Parties who are registered with this Court’s electronic filing system will be served
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electronically.
Andre M. Lagomarsino, Esq
Lagomarsino Law
3005 W. Horizon Ridge Pkwy., Suite 241
Henderson, Nevada 89052
aml@lagomarsinolaw.com
Attorneys for Plaintiff
/s/ Carol A. Knight
CAROL A. KNIGHT, an employee of the
Office of the Nevada Attorney General
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