Opinion
3:22-cv-00368-ART-CLB
10-25-2022
HUTCHISON & STEFFEN, PLLC Astrid A. Perez, Esq. Nev. Bar No. 15977, Jason D. Guinasso, Esq., Esq. Nev. Bar No. 8478 Attorneys for Plaintiff OFFICE OF THE GENERAL COUNSEL WASHOE COUNTY SCHOOL DISTRICT Christopher B. Reich, Esq. Nev. Bar No. 10198, Neil A. Rombardo, Esq. Nev. Bar No. 6800, Sara K. Montalvo, Esq. Nev. Bar No. 11899, ANDREA L. SCHULEWITCH, ESQ. Nevada Bar No. 15321 Attorneys for Defendants Washoe County School District and Jackie James
HUTCHISON & STEFFEN, PLLC Astrid A. Perez, Esq. Nev. Bar No. 15977, Jason D. Guinasso, Esq., Esq. Nev. Bar No. 8478 Attorneys for Plaintiff
OFFICE OF THE GENERAL COUNSEL WASHOE COUNTY SCHOOL DISTRICT Christopher B. Reich, Esq. Nev. Bar No. 10198, Neil A. Rombardo, Esq. Nev. Bar No. 6800, Sara K. Montalvo, Esq. Nev. Bar No. 11899, ANDREA L. SCHULEWITCH, ESQ. Nevada Bar No. 15321 Attorneys for Defendants Washoe County School District and Jackie James
STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO COMPLAINT
(SECOND REQUEST)
COMES NOW, Defendants Washoe County School District and Jackie James (collectively referred to as Defendants) and Plaintiff Cory Coombes (Plaintiff), by and though their respective counsel of record, and hereby stipulate and agree, pursuant to Federal Rules of Civil Procedure 6(b) and Civil Local Rule IA 6-1, to extend the deadline for Defendants' answer or response to Plaintiffs' Complaint to November 21, 2022. This Stipulation is based on the following:
1. Plaintiff served his Complaint and Jury Demand (Complaint) (ECF No. 1) upon Defendant Washoe County School District on September 12, 2022 and upon Defendant Jackie James on September 21, 2022.
2. This Court previously, on September 27, 2022, granted an extension of time to respond to the Complaint to November 7, 2022 allow 45-days to respond from the last date of service for all Defendants which was September 21, 2022. (ECF No. 6)
3. Due to the current workload of Defendants' attorneys, the Parties stipulate and agree to again extend the deadline for Defendants' answer or response to Plaintiff's Complaint form November 7, 2022 to November 21, 2022.
4. This Stipulation is made in good faith and is not for the purposes of delay.
5. This is the Parties' second request for extension of the scheduled discovery deadlines.
IT IS SO ORDERED: