Opinion
3:21-cv-00442-ART-CLB
04-10-2023
LAGOMARSINOLAW Taylor N. Jorgensen ANDRE M. LAGOMARSINO, ESQ. (#6711) TAYLOR N. JORGENSEN, ESQ. (#16259) Attorneys for Plaintiff Byron Green SIMONSHALL JOHNSTONPC Sandra Ketner ANTHONY L. HALL, ESQ. (#5977) SANDRA KETNER, ESQ. (#8527) JONATHAN A. McGUIRE, ESQ. (#15280) Attorneys for Defendant Washoe County School District
LAGOMARSINOLAW Taylor N. Jorgensen ANDRE M. LAGOMARSINO, ESQ. (#6711) TAYLOR N. JORGENSEN, ESQ. (#16259) Attorneys for Plaintiff Byron Green
SIMONSHALL JOHNSTONPC Sandra Ketner ANTHONY L. HALL, ESQ. (#5977) SANDRA KETNER, ESQ. (#8527) JONATHAN A. McGUIRE, ESQ. (#15280) Attorneys for Defendant Washoe County School District
ORDER APPROVING
STIPULATION TO EXTEND DEADLINE FOR FILING RESPONSE TO DEFENDANT'S MOTION FOR SUMMARY JUDGMENT (ECF NO. 32)
(FIRST REQUEST)
ANNE R. TRAUM UNITED STATES DISTRICT COURT JUDGE
Plaintiff BYRON GREEN (“Plaintiff”) and Defendant WASHOE COUNTY SCHOOL DISTRICT (“Defendant”) (collectively “the Parties”), by and through their respective counsel, hereby stipulate and agree that the deadline for Plaintiff file a response to Defendant's Motion for Summary Judgment (ECF No. 32) shall be extended for the following reasons.
On March 27, 2023, Defendant filed its Motion for Summary Judgment (“MSJ”). Plaintiff's response to Defendant's MSJ is currently due on April 17, 2023. However, both handling attorneys will be out of town for several days in April 2023 and the firm is down a paralegal. Therefore, the Parties stipulate, and request, an extension up to, and including, May 12, 2023 for Plaintiff to file his response to Defendant's MSJ.
This is the first request seeking an extension of the deadline for Plaintiff to respond to Defendant's MSJ. This request is made in good faith and is not for the purpose of delay.
IT IS SO ORDERED.