Opinion
2:20-CV-00986-ART-VCF
02-14-2023
Christian Gabroy Nev. Bar No. 8805 Kaine Messer Nev. Bar No. 14240 GABROY |MESSER The District at Green Valley Ranch Brian P. Sanford Pro Hac Vice Elizabeth J. Sanford Pro Hac Vice THE SANFORD FIRM Attorneys for Plaintiff Angela Evans Christian Gabroy, Esq. Nev. Bar No. 8805 Kaine Messer, Esq. Nev. Bar No. 14240 GABROY | MESSER Brian Sanford, Esq. Pro Hac Vice Elizabeth Sanford, Esq. Pro Hac Vice THE SANFORD FIRM Attorneys for Plaintiff Angela Evans Shannon S. Pierce, Esq. Nev. Bar No. 12471 Wade Beavers, Esq. Nev. Bar No. 13451 FENNEMORE CRAIG, P.C.Attorneys for Defendant Valley Electric Association, Inc.
Christian Gabroy Nev. Bar No. 8805 Kaine Messer Nev. Bar No. 14240 GABROY |MESSER The District at Green Valley Ranch Brian P. Sanford Pro Hac Vice Elizabeth J. Sanford Pro Hac Vice THE SANFORD FIRM Attorneys for Plaintiff Angela Evans
Christian Gabroy, Esq. Nev. Bar No. 8805 Kaine Messer, Esq. Nev. Bar No. 14240 GABROY | MESSER Brian Sanford, Esq. Pro Hac Vice Elizabeth Sanford, Esq. Pro Hac Vice THE SANFORD FIRM Attorneys for Plaintiff Angela Evans
Shannon S. Pierce, Esq. Nev. Bar No. 12471 Wade Beavers, Esq. Nev. Bar No. 13451 FENNEMORE CRAIG, P.C.Attorneys for Defendant Valley Electric Association, Inc.
STIPULATION AND ORDER TO EXTEND DEADLINE TO FILE JOINT PRETRIAL ORDER (FIRST REQUEST)
Plaintiff Angela Evans (“Plaintiff”) by and through her attorneys Christian Gabroy, Esq., and Kaine Messer, Esq., of Gabroy | Messer, and Defendant Valley Electric Association, Inc. (“Defendant”), by and through their attorney Shannon Pierce, Esq., of Fennemore Craig, P.C., hereby stipulate to a thirty (30) day extension to file the Joint Pretrial Order. This is the first request to extend the deadline to file the Joint Pretrial Order.
The Pretrial Order in this matter is currently due on February 13, 2023. Plaintiff has requested the extension and Defendant has agreed to the request.
Good cause exceedingly exists for such extension. Plaintiff's trial counsel further needs to tend to personal family matters, including: issues related to his father's medical prognosis, his ongoing legal matters and his father's legal proceedings that have been set for final continued trial in April of 2023 after three years of litigation and multiple firms in his father's case. Additionally, Plaintiff's counsel has undergone a transition in personnel. Such personnel transition has required that Plaintiff's counsel devote substantial amounts of time to adequately train new staff members.
Accordingly, the parties agree that the Joint Pretrial Order shall be due on March 15, 2023.
This request is not sought for any improper purpose or other reason of delay. No party is prejudiced by the requested extension.
IT IS SO ORDERED: