Opinion
2:19-cv-00850-GMN-EJY
01-20-2023
PISANELLI BICE PLLC James J. Pisanelli, Esq., Debra L. Spinelli, Esq., Jordan T. Smith, Esq., Emily A. Buchwald, Esq., Attorneys for Plaintiff Gypsum Resources, LLC OLSON CANON GORMLEY & STOBERSKI DEPUTY DISTRICT ATTORNEY Robert T. Warhola, Esq., Attorneys for Defendants
PISANELLI BICE PLLC James J. Pisanelli, Esq., Debra L. Spinelli, Esq., Jordan T. Smith, Esq., Emily A. Buchwald, Esq., Attorneys for Plaintiff Gypsum Resources, LLC
OLSON CANON GORMLEY & STOBERSKI DEPUTY DISTRICT ATTORNEY Robert T. Warhola, Esq., Attorneys for Defendants
STIPULATION AND ORDER TO EXTEND TIME TO FILE OPPOSITION TO MOTION IN LIMINE TO EXCLUDE UNRELIABLE EXPERT EVIDENCE
Plaintiff Gypsum Resources, LLC ("Gypsum"), Defendants Clark County and Clark County Board of Commissioners (collectively "Clark County"), by and through their undersigned counsel, hereby stipulate as follows:
1. On January 6, 2023, Clark County filed its Motion in Limine to Exclude Unreliable Expert Evidence ("Motion in Limine"). [ECF No. 86.]
2. On January 19, 2023, counsel for Gypsum contacted counsel for Clark County requesting an extension of time, from January 20, 2023, to January 24, 2023, to file Gypsum's opposition to the Motion in Limine, to which counsel for Clark County agreed.
3. Therefore, Gypsum shall have until January 24, 2023, to file its opposition brief to the Motion in Limine.
ORDER.
IT IS SO ORDERED.