Doe v. Carson City School District et al

Filing 26

ORDER granting ECF No. 25 Stipulation. The Court shall continue the dates for the Video Status Conference (ECF No. 24 ) and the Settlement Conference (ECF No. 18 ) and reschedule these conferences on dates convenient for the Court and the parties, with such dates to be scheduled on or after March 1, 2021. Signed by Magistrate Judge Carla Baldwin on 1/20/2021. (Copies have been distributed pursuant to the NEF - AB)

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Case 3:20-cv-00177-LRH-CLB Document 25 Filed 01/20/21 Page 1 of 2 26 1 2 3 4 5 6 7 8 9 10 11 ANN M. ALEXANDER, ESQ. (#7256) ALEXANDER & ASSOCIATES, INC. 425 Marsh Avenue, Suite 1 P.O. Box 5790 Reno, Nevada 89513 Tel. (775)800-1128 Fax. (775)800-1227 alexander@amalexlaw.com Attorney for Defendants LAGOMARSINO LAW ANDRE M. LAGOMARSINO, ESQ. (#6711) DAVEN P. CAMERON, ESQ. (#l4179) 3005 W. Horizon Ridge Pkwy., #241 Henderson, Nevada 89052 Tel. (702)383-2864 Fax. (702)383-0065 aml@lagomarsinolaw.com daven@lagomarsinolaw.com Attorneys for Plaintiff John Doe 12 13 14 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 15 16 17 18 19 20 JOHN DOE, a minor, by and through his natural parents, JANE DOE and JOE DOE, Plaintiff, v. CARSON CITY SCHOOL DISTRICT, a political subdivision of the State of Nevada; JORDAN CRITTENDEN, individually; LISA HUTCHISON, individually; Defendants. Case No. 3:20-CV-00177-LHR-CLB STIPULATION AND ORDER FOR CONTINUANCE OF STATUS CONFERENCE AND SETTLEMENT CONFERENCE (First Request) 21 22 Pursuant to LR IA 6-1, the parties, by and through their respective counsel of record, 23 hereby stipulate and request that this Court continue the Video Status Conference scheduled for 24 1/25/2021 at 10:00 AM (ECF No. 24). The parties also stipulate and request that this Court 25 continue the Settlement Conference scheduled for 2/1/2021 at 9:00 a.m. (ECF No. 18). This is 26 the first stipulation for continuance of a status conference and a settlement conference. 27 The parties are actively engaged in good faith settlement discussions, and they believe 28 that the settlement discussions will resolve the case prior to March 1, 2021. The parties agree 1 Case 3:20-cv-00177-LRH-CLB Document 25 Filed 01/20/21 Page 2 of 2 26 1 that it is in the best interests of their clients to continue those discussions without the need to 2 expend resources to prepare for and participate in a formal settlement conference at this time. 3 Discovery is scheduled to close on April 21, 2021 (ECF No. 23). 4 With respect for and in consideration of the limited resources of the Court, and for the 5 reasons stated above, the parties stipulate and request that the Court continue the dates for the 6 Video Status Conference and the Settlement Conference and reschedule these conferences on 7 dates convenient for the Court and the parties, with such dates to be scheduled on or after March 8 1, 2021. 9 IT IS SO STIPULATED AND AGREED. 10 DATED this 19th day of January, 2021. DATED this 19th day of January, 2021. 11 ALEXANDER & ASSOCIATES, INC. LAGOMARSINO LAW 12 By: __/s/ Ann M. Alexander__________ 13 14 ANN M. ALEXANDER, ESQ. (#7256) P.O. Box 5790 Reno, Nevada 89513 Attorney for Defendants 15 16 By: __/s/ Daven P. Cameron__________ ANDRE M. LAGOMARSINO, ESQ. (#6711) DAVEN P. CAMERON, ESQ. (#14179) 3005 W. Horizon Ridge Pkwy., #241 Henderson, Nevada 89052 Attorneys for Plaintiff IT IS SO ORDERED: 17 18 19 20 UNITED STATES MAGISTRATE JUDGE DATED: January 20, 2021 21 22 23 24 25 26 27 28 2

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