Opinion
2:19-cv-00638-RFB-VCF
10-23-2023
GERALD R. LECHNER, an individual, Plaintiff, v. LAS VEGAS METROPOLITAN POLICE DEPARTMENT, CHRISTOPHER R. O'CONNELL, in his individual and official capacities, & CLINT W. OWENSBY, in his individual and official capacities, & JONATHAN M. RIDDLE, in his individual and official capacities, & CHRISTOPHER J. KOPF, in his individual and official capacities, & DILLON A. WEDEWER, in his individual and official capacities, & ANDRE A. MCFARLAND, in his individual and official capacities, Defendants.
Gerald R. Lechner Plaintiff Pro Per MARQUIS AURBACH Nick D. Crosby, Esq. Jackie V. Nichols, Esq. Attorneys for Defendants LVMPD, Christopher R. O'Connell, Clint W. Owensby, Jonathan M. Riddle, Christopher J. Kopf, Dillon A. Wedewer and Andre A. McFarland
Gerald R. Lechner Plaintiff Pro Per
MARQUIS AURBACH Nick D. Crosby, Esq. Jackie V. Nichols, Esq. Attorneys for Defendants LVMPD, Christopher R. O'Connell, Clint W. Owensby, Jonathan M. Riddle, Christopher J. Kopf, Dillon A. Wedewer and Andre A. McFarland
STIPULATION AND ORDER TO EXTEND JOINT PRETRIAL ORDER DEADLINE
(FIRST REQUEST)
The Parties, by and through their undersigned counsel of record, and hereby agree and jointly stipulate that the Joint Pretrial Order [ECF No. 150], currently due on October 20, 2023, be extended to and including Friday, November 3, 2023.
Plaintiff is responsible for initiating and preparing the Joint Pretrial Order. Due to the fact that Plaintiff is not signed up for electronic service, he did not immediately receive notice of the Court's summary judgment ruling. The parties met and conferred on October 17, 2023 but Plaintiff needs additional time prepare the Joint Pretrial Order. Additionally, counsel for Defendants has been in multiple depositions and needs additional time to review the file for purposes of the Joint Pretrial Order. As such, the Parties respectfully request a 14-day extension of the deadline to submit the Joint Pretrial Order. This request for extension is made in good faith and necessary to provide additional time for preparation of the Joint Pretrial Order and not for the purposes of delay.
WHEREFORE, the parties respectfully request that the Joint Pretrial Order be extended to and including Friday, November 3, 2023.
ORDER
The above Stipulation is hereby GRANTED.
IT IS SO ORDERED.