PICCININI et al v. United States of America

Filing 64

ORDER granting ECF No. 63 Stipulation : Response to ECF No. 55 Motion to Strike due by 1/24/2020. Signed by Magistrate Judge William G. Cobb on 1/8/2020. (Copies have been distributed pursuant to the NEF - DRM)

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1 2 NICHOLAS A. TRUTANICH United States Attorney District of Nevada Nevada Bar No. 13644 3 4 5 6 HOLLY A. VANCE Assistant United States Attorney United States Attorney’s Office 100 West Liberty Street, Suite 600 Reno, NV 89501 (775) 784-5438 Holly.A.Vance@usdoj.gov 7 Attorneys for United States of America 8 9 UNITED STATES DISTRICT COURT 10 DISTRICT OF NEVADA 11 12 MARY KIM PICCININI 1, and GEORGE ELDRIDGE & SON, INC., 13 Plaintiffs, 14 15 Case No. 3:17-cv-00584-HDM-WGC STIPULATION FOR EXTENSION OF TIME TO RESPOND TO MOTION TO STRIKE (ECF NO. 55) v. UNITED STATES OF AMERICA, 16 (SECOND REQUEST) Defendant. 17 18 Defendant United States of America and Plaintiff George Eldridge & Son, Inc., hereby 19 stipulate and agree that Defendant may have a 14-day extension to file its response to Plaintiffs’ 20 Motion to Strike Documents Produced with Defendant’s Amended Third Supplemental 21 Disclosure Statement. (ECF No. 55). Defendant’s response is currently due on January 10, 2020. 22 An extension is warranted because the parties are attempting to settle the case. An extension 23 24 1 The Court dismissed Plaintiff Mary Kim Piccinini’s claims with prejudice on December 31, 2019 (See ECF No. 62). 1 1 would allow defense counsel to focus on the settlement negotiations with Plaintiff’s counsel and 2 to meaningfully discuss and assess those negotiations, and possible settlement options, with 3 representatives from the Department of Justice. A 14-day extension would give Defendant up to 4 and including January 24, 2020, in which to respond to the motion to strike. 5 6 This is Defendant’s second request for an extension of time. The extension would not prejudice either party since trial is not scheduled until June 2020. 7 Dated: January 7, 2020. 8 NICHOLAS A. TRUTANICH United States Attorney ROSE LAW OFFICE 11 s/ Holly A. Vance HOLLY A. VANCE Assistant United States Attorney Counsel for Defendant s/ Sean P. Rose SEAN P. ROSE Counsel for Plaintiff George Eldridge & Son, Inc. 12 DURNEY & BRENNAN LTD. 13 s/ Thomas R. Brennan THOMAS R. BRENNAN Counsel for Plaintiff George Eldridge & Son, Inc. 9 10 14 15 16 17 IT IS SO ORDERED. 18 19 DATED: January 8, 2020. __________________________________ HON. WILLIAM G. COBB United States Magistrate Judge 20 21 22 23 24 2

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