Reaves v. United Parcel Service, Inc.

Filing 73

ORDER re ECF No. 72 Joint Status Report. The parties are to file a stipulation to dismiss this action with prejudice, or to provide a further joint status report by 7/15/2019. Signed by Magistrate Judge Carl W. Hoffman on 6/25/2019. (Copies have been distributed pursuant to the NEF - LH)

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Case 3:18-cv-00213-HDM-CWH Document 72 Filed 06/24/19 Page 1 of 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 MARK MAUSERT Nevada State Bar No. 2398 CODY OLDHAM Nevada State Bar No. 14594 729 Evans Avenue Reno, Nevada 89512 (775) 786-5477 Telephone (775) 786-9658 Facsimile mark@markmausertlaw.com Attorneys for Plaintiff DOREEN SPEARS HARTWELL, ESQ. Nevada State Bar No. 7525 doreen@hartwellthalacker.com HARTWELL THALACKER, LTD 11920 Southern Highlands Pkwy #201 Las Vegas, NV 89141 Telephone: 702-850-1076 JANICE P. BROWN, ESQ. (CA SBN 114433) Appearing pro hac vice brown@brownlawgroup.com BROWN LAW GROUP 600 B Street, Suite 1650 San Diego, CA 92101 Telephone: (619) 330-1700 Attorneys for Defendant UNITED PARCEL SERVICE, INC. 19 UNITED STATES DISTRICT COURT 20 DISTRICT OF NEVADA 21 22 23 24 25 26 27 28 Case No.: 3:18-cv-00213-HDM-WGC MICHAEL REAVES, vs. Plaintiff, UNITED PARCEL SERVICE, INC. AND DOES I-X, JOINT STATUS REPORT RE SETTLEMENT Defendants. Page 1 of 2 Case 3:18-cv-00213-HDM-CWH Document 72 Filed 06/24/19 Page 2 of 2 1 COMES NOW Plaintiff, MICHAEL REAVES, and Defendant, UNITED PARCEL 2 SERVICE, INC., by and through their undersigned counsel of record, and pursuant to the Court’s 3 May 24, 2019 minute order (Doc. 71), and hereby files their joint status report: 4 1. The parties entered into a confidential settlement agreement (the “Agreement”). The 5 Agreement became effective on June 4, 2019, as that is the last date all parties signed the 6 agreement. 7 8 9 2. Per the Agreement, payments are to be made 30 days after the effective date, which would be on or about July 4, 2019. 3. The Parties expect to file the stipulation to dismiss with prejudice by mid-July 2019. 10 4. Based on the foregoing, the Parties respectfully request an extension, through July 15, 11 2019, to file the stipulation to dismiss this action with prejudice, or to provide a further 12 joint status report. 13 14 Respectfully submitted, 15 DATED this 24th day of June, 2019. DATED this 24th day of June, 2019. 16 MARK MAUSERT LAW OFFICE BROWN LAW GROUP 17 By: _/s/Mark Mausert MARK MAUSERT CODY OLDHAM 729 Evans Avenue Reno, NV 89512 By: _/s/Janice Brown JANICE P. BROWN 600 B. Street, Suite 1650 San Diego, CA 92101 18 19 20 21 Attorney for Defendant Attorneys for Plaintiff 22 23 DATED this 24th day of June, 2019. 24 HARTWELL & THALACKER, LTD. 25 By: /s/Doreen Spears Hartwell DOREEN SPEARS HARTWELL 11920 Southern Highlands Parkway, Suite 201 Las Vegas, NV 89141 26 27 28 Jun 25, 2019 Attorney for Defendant Page 2 of 2

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