Opinion
3:22-cv-00333-LRH-CLB
12-07-2022
John R. Funk, Esq. Jeremy R. Reichenberg, Esq. GUNDERSON LAW FIRM Attorneys for Angel Vasquez Barnes and Joseph Barnes. Gregory M. Saylin, Esq. Kody L. Condos, Esq. HOLLAND & HART LLP Sydney R. Gambee, Esq. HOLLAND & HART LLP Attorneys for Plaintiffs Mission Healthcare Services, LLC and Health Living at Home -Carson City, LLC. Ryan D. Russell, Esq. ALLISON MACKENZIE, LTD. Attorneys for Battle Born Home Health, LLC and Jessica Connant.
John R. Funk, Esq. Jeremy R. Reichenberg, Esq. GUNDERSON LAW FIRM Attorneys for Angel Vasquez Barnes and Joseph Barnes.
Gregory M. Saylin, Esq. Kody L. Condos, Esq. HOLLAND & HART LLP Sydney R. Gambee, Esq. HOLLAND & HART LLP Attorneys for Plaintiffs Mission Healthcare Services, LLC and Health Living at Home -Carson City, LLC.
Ryan D. Russell, Esq. ALLISON MACKENZIE, LTD. Attorneys for Battle Born Home Health, LLC and Jessica Connant.
STIPULATION
LARRY R. HICKS UNITED STATES DISTRICT JUDGE.
Plaintiffs MISSION HEALTHCARE SERVICES, LLC and HEALTHY LIVING AT HOME - CARSON CITY, LLC, (“Plaintiffs”) and Defendants ANGEL VASQUEZ BARNES and JOSEPH BARNES (together, the “Barnes”), and Defendants JESSICA CONNANT (CRISP) (“Connant”) and BATTLE BORN HOME HEALTH, LLC (“Battle Born,” and together with Plaintiffs, Connant, and the Barnes, the “Parties”), by and through their respective counsel of record, hereby stipulate and agree as follows.
1. Connant and Battle Born filed their Motion to Dismiss, or in the alternative, Motion for a More Definite Statement (the “Battle Born MTD”) on October 3, 2022 (ECF No. 19).
2. The Barnes filed their Motion to Dismiss, or in the alternative, Motion for a More Definite Statement (the “Barnes MTD”) on October 14, 2022 (ECF No. 25).
3. Plaintiffs and Defendants stipulated to extend the deadline for Plaintiffs to file responses to the Battle Born MTD and the Barnes MTD, until and including November 4, 2022, which Order granting said stipulation was entered herein on October 17, 2022 (ECF No. 26).
4. Due to a medical procedure of lead counsel for Plaintiffs, the Parties stipulated to extend the deadline for Plaintiffs' responses to the Battle Born MTD and the Barnes MTD, until and including November 18, 2022.
5. Counsel have agreed to extend the deadline for Plaintiffs' responses to the Battle Born MTD and the Barnes MTD, until and including November 23, 2022.
6. Counsel have also agreed to extend the deadline for Defendants to provide their replies in support of the Battle Born MTD and the Barnes MTD, until and including December 14, 2022.
7. This is Plaintiffs' third request for an extension of time to respond to the Barnes MTD and the Battle Born MTD.
8. This is Defendants first request for an extension of the time to file their replies in support of the Barnes MTD and the Battle Born MTD.
9. This stipulation is made in good faith and not in an attempt to delay proceedings.
ORDER
IT IS SO ORDERED. Plaintiffs shall have until and including November 23, 2022 to file their response(s) to the Barnes MTD and the Battle Born MTD. Defendants shall have until and including December 14. 2022 to file their respective replies.