Opinion
2:23-cv-00478-CDS-EJY 2:23-cv-00398-EFB-EJY
08-24-2023
Boyd B. Moss III, Esq. Marcus A. Berg, Esq. John C. Funk, Esq. MOSS BERG INJURY LAWYERS Attorneys for Plaintiff. Brian R. Hardy, Esq. Jennifer L. Micheli, Esq. MARQUIS AURBACH Attorneys for Defendants Breanna Nelson, Alan W. Schrimpf, Brooke Gentry, Michael Mokeski, Isaac Champlin, and Daniel Fischer. Michael M. Edwards, Esq. Stephanie Bedker, Esq. FREEMAN MATHIS & GARY, LLP Attorneys for Defendant Nye County. Jared M. Frost, Senior Deputy Attorney General Office of the Attorney General Attorneys for Defendant Department of Public Safety, Division of Nevada Highway Patrol, and Luke Stang.
Boyd B. Moss III, Esq. Marcus A. Berg, Esq. John C. Funk, Esq. MOSS BERG INJURY LAWYERS Attorneys for Plaintiff.
Brian R. Hardy, Esq. Jennifer L. Micheli, Esq. MARQUIS AURBACH Attorneys for Defendants Breanna Nelson, Alan W. Schrimpf, Brooke Gentry, Michael Mokeski, Isaac Champlin, and Daniel Fischer.
Michael M. Edwards, Esq. Stephanie Bedker, Esq. FREEMAN MATHIS & GARY, LLP Attorneys for Defendant Nye County.
Jared M. Frost, Senior Deputy Attorney General Office of the Attorney General Attorneys for Defendant Department of Public Safety, Division of Nevada Highway Patrol, and Luke Stang.
JOINT STIPULATION TO EXTEND RESPONSE DEADLINES (SECOND REQUEST)
Plaintiff Josh Myers, as Parent and Legal Guardian on behalf of EKS, a minor child, by and through counsel, Boyd B. Moss III, Esq., and Defendants Daniel Fischer, Isaac Champlin, Brooke Gentry, Alan W. Shrimpf, Breanna Nelson, Michael Mokeski, Luke Stang, Department of Public Safety, Division of Nevada Highway Patrol, and Nye County, by and through their respective counsels, have conferred and hereby stipulate to extend Defendants' deadline to respond to Plaintiff's Complaint for an additional sixty (60) days.
The parties submit there is good cause for the extension. Plaintiff seeks consolidation of this matter with the related action Roberts v. Nye County, et al., Case No. 2:22-cv-00398-RFB-EJY. To address various issues related to the possible consolidation of this matter, including how consolidation may impact the status of the pending defense motions in the Roberts case, the parties conferred by phone and later submitted a stipulation to set a pretrial conference on June 26, 2023. However, as of the date of this filing the Roberts court has not ruled on either the pretrial conference request or the pending defense motions. Accordingly, the parties hereby agree to extend the deadline for Defendants to respond to Plaintiff's Complaint for an additional sixty (60) days, with responsive pleadings due no later than October 23, 2023.
IT IS SO STIPULATED.
ORDER
IT IS SO ORDERED. The deadline for Defendants Daniel Fischer, Isaac Champlin, Brooke Gentry, Alan W. Shrimpf, Breanna Nelson, Luke Stang, Department of Public Safety, Division of Nevada Highway Patrol, Michael Mokeski, and Nye County to respond to Plaintiff's Complaint is extended for an additional sixty (60) days up to and including October 23, 2023.