Opinion
2:22-cv-01897-CDS-EJY
11-30-2022
CITY OF HENDERSON BRANDON P. KEMBLE Assistant City Attorney Nevada Bar No. 11175 Attorneys for Defendants CITY OF HENDERSON and HENDERSON POLICE DEPARTMENT EDWARD M. BERNSTEIN & ASSOCIATES BRIAN E. LUNT, ESQ. Nevada Bar No. 11189 Attorneys for Plaintiff RICKY J. ANDERSON, JR.
[28 U.S.C. §§ 1331, 1441, AND 1446]
[FEDERAL QUESTION]
CITY OF HENDERSON BRANDON P. KEMBLE Assistant City Attorney Nevada Bar No. 11175 Attorneys for Defendants CITY OF HENDERSON and HENDERSON POLICE DEPARTMENT
EDWARD M. BERNSTEIN & ASSOCIATES BRIAN E. LUNT, ESQ. Nevada Bar No. 11189 Attorneys for Plaintiff RICKY J. ANDERSON, JR.
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS HENDERSON POLICE DEPARTMENT AND CITY OF HENDERSON TO FILE AN ANSWER TO COMPLAINT
IT IS HEREBY STIPULATED between the parties that the time for Defendants Henderson Police Department and City of Henderson may be extended for 60-days from the date of this stipulation.
1. On October 3, 2022, Plaintiff filed his Complaint in Clark County District Court case number A-22-859299-C. Defendants were served a copy of the Summons and Complaint on October 10, 2022.
2. On November 9, 2022, Defendants filed their Petition for Removal of Civil Action in the United States District Court for the District of Nevada, case number 2:22-cv-01897 (ECF 1).
3. On November 23, 2022, Defendants filed their Statement of Removal (ECF 5).
4. Counsel for both parties have conferred and agreed that the time for Defendants to file their Answer to Plaintiff's Complaint would be extended by 60-days, that date being January 27, 2023.
ORDER
IT IS SO ORDERED.