Wells v. Pilkerton

Filing 97

ORDER granting 96 Stipulation to Extend Federal Defendant Response Deadline: Federal Defendant's Response to 94 Motion to Stay final order and judgment pending appeal due by 7/29/2024. Signed by Chief Judge Miranda M. Du on 7/9/2024. (Copies have been distributed pursuant to the NEF - DRM)

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1 JASON M. FRIERSON United States Attorney 2 District of Nevada Nevada Bar No. 7709 3 VIRGINIA T. TOMOVA 4 Assistant United States Attorney Nevada Bar Number 12504 5 501 Las Vegas Blvd. So., Suite 1100 Las Vegas, Nevada 89101 6 (702) 388-6336 Virginia.Tomova@usdoj.gov 7 Attorneys for the United States 8 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 9 10 MICHAEL J. WELLS, 11 12 v. Plaintiff, ISABELLA CASILLAS GUZMAN, 13 Administrator of the U.S. SMALL BUSINESS ADMINISTRATION, et al., 14 Defendants. 15 Case No. 3:19-cv-00407-MMD-CLB Order Granting Stipulation and Order to Extend Deadline for Federal Defendant to File a Response to Plaintiff’s Motion to Stay the Final Order (ECF No. 82) and Judgment (ECF No. 83) Pending Appeal (First Request) 16 17 Pursuant to Rule 6(b)(1) of the Federal Rules of Civil Procedure and Rule IA 6-1 of 18 this Court’s Local Rules, the parties, through undersigned counsel, stipulate to a three-week 19 extension, from July 8, 2024, to July 29, 2024, for Federal Defendant to respond to Plaintiff’s 20 motion to stay the final order (ECF No. 82) and judgment (ECF No. 83) pending appeal 21 (“plaintiff’s motion to stay”). The current deadline to file a response is July 8, 2024. This is 22 the first request for an extension. 23 On July 8, 2024, Pro Se Plaintiff Michael Wells and undersigned counsel for the 24 Federal Defendant conferred via email and agreed to an extension of three weeks to file a 25 reply to Plaintiff’s motion to stay. The purpose of the extension is due to a heavy workload 26 of the undersigned, including motions due on July 8, 2024 (three motions), July 15, 2024, 27 July 22, 2024, joint pre-trial orders due on July 15 and July 21, 2024, and continued 28 depositions on July 23 and 25, 2024. Extending the deadline will provide the necessary time 1 for the Federal Defendant to evaluate the arguments made in Plaintiff’s motion and to 2 prepare a response to the same. 3 This stipulated request is filed in good faith and not for the purposes of undue delay. 4 Respectfully submitted this 8th day of July 2024. 5 JASON M. FRIERSON United States Attorney 6 7 8 9 /s/ Virginia T. Tomova VIRGINIA T. TOMOVA Assistant United States Attorney Attorneys for the Federal Defendant /s/ Michael J. Wells Michael J. Wells 1344 Disc Drive #102 Sparks, NV 89436 mikewellsinreno@gmail.com Plaintiff Pro Se 10 11 IT IS SO ORDERED: 12 13 UNITED STATES MAGISTRATE JUDGE 14 July 9, 2024 DATED: _____________________________ 15 16 17 18 19 20 21 22 23 24 25 26 27 28 2

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