United States District Court, D. Nevada
Goldstein, LAW OFFICES OF PETER GOLDSTEIN, Attorney for
Plaintiff PHILLIP MURRY.
BRISBOIS BISGAARD & SMITH LLP., Robert W. Freeman, Esq.,
Attorneys for Defendants.
STIPULATION AND ORDER TO EXTEND DEADLINES
to LR 6-1 and LR 26-4, the parties, by and through their
respective counsel of record, hereby stipulate and request
that this Court extend discovery in the above-captioned case
seven (7) days, up to and including April 9, 2018 for the
purpose of allowing Plaintiff to depose Defendant's agent
designated under FRCP 30(b)(6). In addition, the parties
request that the deadline to file dispositive motions be
extended accordingly as outlined herein to permit Defendants
to file their motion for summary judgment. In support of this
Stipulation and Request, the parties state as follows:
Discovery Completed to Dated:
Parties participated in a conference, as required by
Fed.R.Civ.P. 26(f) and LR 26-1(a), on April 26, 2017.
Parties served their respective initial disclosures:
a. Plaintiff, Phillip Murry (“Murry”) served his
initial disclosures on May 10, 2017;
b. Defendants, City of North Las Vegas Police Department
(“NLVPD”) and Sgt. Michael Booker
(“Booker”) served their initial disclosures on
May 30, 2017.
Defendants served their first supplemental disclosures on
June 29, 2017.
Plaintiff served Defendant, NLVPD with his first written
discovery requests on May 23, 2017, which included requests
for admission and requests for production of documents.
Defendant NLVPD served its responses to Plaintiff's first
written discovery requests (following an agreement among the
parties to a two-week extension to the deadline for Defendant
to serve its responses) on July 7, 2017.
Defendant City of North Las Vegas served written discovery
requests in June 8, 2017. Plaintiff served responses to
Defendants' first requests for production of documents
and first interrogatories on July 13, 2017.
Plaintiff took the deposition of Sgt. Booker on July 27,
2017. h) Defendant took the ...