Opinion
2:22-cv-01038-MMD-BNW
12-27-2022
Diana Van Bree, Plaintiff, v. Frank Kendall III, Secretary, United States Air Force Defendant.
JAMES P. KEMP, ESQ. Nevada Bar No. 006375 KEMP & KEMP Attorney for Plaintiff Diana Van Bree
JAMES P. KEMP, ESQ. Nevada Bar No. 006375 KEMP & KEMP Attorney for Plaintiff Diana Van Bree
STIPULATION AND ORDER TO EXTEND TIME TO FILE STIPULATED PROPOSED DISCOVERY PLAN AND SCHEDULING ORDER [FIRST REQUEST]
THE PARTIES, by and through their undersigned parties hereby stipulate and request the court's approval to extend the time to file a proposed Stipulated Discovery Plan and Scheduling Order from the current due date of December 22, 2022 through and including January 12, 202 3
The reason for this extension is so that the parties may continue to discuss the potential consolidation of this case with the Van Bree vs. JT4, LLC case, No. 2:20-cv-00788-RFB-VCF which involves similar legal and factual issues. If the cases are consolidated under FRCP 42 and LR 42-1 the need for a Discovery Plan and Scheduling Order in this case may become unnecessary. Additionally, Plaintiff's counsel is out of the country during the holiday season and will not return until January 4, 2023.
This stipulation to extend time to file a proposed Stipulated Discovery Plan and Scheduling Order is sought for good cause and not for purposes of delay.
IT IS SO ORDERED.