Opinion
2:21-cv-02219-APG-EJY
12-23-2022
JASON M. FRIERSON, United States Attorney District of Nevada, Nevada Bar No. 7709, SKYLER H. PEARSON, Assistant United States Attorney, Attorneys for Respondents. HICKS & BRASIER LAW FIRM, SETH R. LITTLE, ESQ., Attorneys for Plaintiffs.
JASON M. FRIERSON, United States Attorney District of Nevada, Nevada Bar No. 7709, SKYLER H. PEARSON, Assistant United States Attorney, Attorneys for Respondents.
HICKS & BRASIER LAW FIRM, SETH R. LITTLE, ESQ., Attorneys for Plaintiffs.
STIPULATION TO EXTEND TIME FOR DEFENDANTS TO RESPOND TO PLAINTIFF STEPHANIE SIMPSON'S MOTION TO ENFORCE SETTLEMENT AGREEMENT
The parties hereby stipulate and agree, through their respective counsel of record, that due to the upcoming holidays and the unavailability of federal employees knowledgeable to provide information that will assist in its response, the deadline for Defendants to file their response to Plaintiff Stephanie Simpson's Motion to Enforce Settlement Agreement will be extended fourteen (14) days, from December 27, 2022, to January 10, 2023. The Motion was filed on December 12, 2022. Plaintiff's reply in support of its Motion will be due January 17, 2023.
IT IS SO ORDERED: