Opinion
2:22-cv-01647-RFB-BNW
01-19-2023
Marquis Aurbach Craig R. Anderson, Esq. Jackie V. Nichols, Esq. Attorneys for Defendants Clark County School District, Dr. Jesus Jara, Trish Taylor, Karen Stelluto, and Vincent Medina David C. O'Mara, Esq. Joan M. Mannix, Esq, (pro hac vice application forthcoming) Thomas More Society - Special Counsel Attorneys for Plaintiffs
Marquis Aurbach Craig R. Anderson, Esq. Jackie V. Nichols, Esq. Attorneys for Defendants Clark County School District, Dr. Jesus Jara, Trish Taylor, Karen Stelluto, and Vincent Medina
David C. O'Mara, Esq. Joan M. Mannix, Esq, (pro hac vice application forthcoming) Thomas More Society - Special Counsel Attorneys for Plaintiffs
STIPULATION AND ORDER TO EXTEND DEFENDANTS CLARK COUNTY SCHOOL DISTRICT, DR. JESUS JARA, TRISH TAYLOR, VINCENT MEDINA AND KAREN STELLUTO'S REPLY IN SUPPORT OF MOTION FOR PARTIAL DISMISSAL (FIRST REQUEST)
RICHARD F. BOULWARE, II UNITED STATES DISTRICT JUDGE
The Parties, Plaintiffs East Career And Technical Academy Students for Life, Felipe Avila and Janelle Rivera (“Plaintiffs”), by and through their counsel of record, David C. O'Mara, Esq., of The O'Mara Law Firm, P.C., and Defendants Clark County School District (“CCSD”), Dr. Jesus Jara (“Dr. Jara”), Trish Taylor (“Taylor”), Vincent Medina (“Medina”), and Karen Stelluto (“Stelluto”) (hereinafter collectively referred to “CCSD Defendants”), by and through their counsel of record, Craig R. Anderson, Esq. and Jackie V. Nichols, Esq., of Marquis Aurbach, and hereby agree and jointly stipulate the following:
1. CCSD Defendants filed its Motion for Partial Dismissal on November 22, 2022 [ECF No. 10];
2. Plaintiffs' Opposition to CCSD Defendants' Motion for Partial Dismissal was filed on January 6, 2023 [ECF No. 14];
3. CCSD Defendants' counsel had a scheduling conflict that arose and is unable to meet the deadline of January 13, 2023 currently scheduled for CCSD Defendants' Reply in Support of Motion for Partial Dismissal;
4. Additionally, the parties previously agreed that CCSD Defendants' Reply in Support of Motion for Partial Dismissal would be due January 23, 2020. ECF No. 13.
5. CCSD Defendants' counsel has now determined that a one week extension of time, to January 20, 2023, is needed for CCSD Defendants' Reply in Support of Motion for Partial Dismissal;
6. Accordingly, the deadline for CCSD Defendants' Reply in Support of Motion for Partial Dismissal, currently due on January 13, 2023, be extended to and including Friday, January 20, 2023;
7. This is the Parties' first request to extend the deadline to CCSD Defendants' Reply in Support of Motion for Partial Dismissal; and
8. This Stipulation is being entered in good faith and not for purposes of delay.
IT IS SO STIPULATED.
THE O'MARA LAW FIRM, P.C.
ORDER
The above Stipulation is hereby GRANTED.
IT IS SO ORDERED
CERTIFICATE OF SERVICE
I hereby certify that I electronically filed the foregoing STIPULATION AND ORDER TO EXTEND DEFENDANTS CLARK COUNTY SCHOOL DISTRICT, DR. JESUS JARA, TRISH TAYLOR, VINCENT MEDINA AND KAREN STELLUTO'S REPLY IN SUPPORT OF MOTION FOR PARTIAL DISMISSAL (FIRST REQUEST) with the Clerk of the Court for the United States District Court by using the court's CM/ECF system on the 13th day of January, 2023.
[X] I further certify that all participants in the case are registered CM/ECF users and that service will be accomplished by the CM/ECF system.
[] I further certify that some of the participants in the case are not registered CM/ECF users. I have mailed the foregoing document by First-Class Mail, postage prepaid, or have dispatched it to a third party commercial carrier for delivery within 3 calendar days to the following non-CM/ECF participants:
N/A
Krista Busch An employee of Marquis Aurbach