PICCININI et al v. United States of America
Filing
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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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NICHOLAS A. TRUTANICH
United States Attorney
District of Nevada
Nevada Bar No. 13644
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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
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Attorneys for United States of America
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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MARY KIM PICCININI 1, and
GEORGE ELDRIDGE & SON, INC.,
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Plaintiffs,
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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,
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(SECOND REQUEST)
Defendant.
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Defendant United States of America and Plaintiff George Eldridge & Son, Inc., hereby
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stipulate and agree that Defendant may have a 14-day extension to file its response to Plaintiffs’
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Motion to Strike Documents Produced with Defendant’s Amended Third Supplemental
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Disclosure Statement. (ECF No. 55). Defendant’s response is currently due on January 10, 2020.
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An extension is warranted because the parties are attempting to settle the case. An extension
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The Court dismissed Plaintiff Mary Kim Piccinini’s claims with prejudice on December 31, 2019 (See ECF No.
62).
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would allow defense counsel to focus on the settlement negotiations with Plaintiff’s counsel and
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to meaningfully discuss and assess those negotiations, and possible settlement options, with
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representatives from the Department of Justice. A 14-day extension would give Defendant up to
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and including January 24, 2020, in which to respond to the motion to strike.
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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.
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Dated: January 7, 2020.
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NICHOLAS A. TRUTANICH
United States Attorney
ROSE LAW OFFICE
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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.
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DURNEY & BRENNAN LTD.
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s/ Thomas R. Brennan
THOMAS R. BRENNAN
Counsel for Plaintiff George Eldridge
& Son, Inc.
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IT IS SO ORDERED.
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DATED: January 8, 2020.
__________________________________
HON. WILLIAM G. COBB
United States Magistrate Judge
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