Opinion
2:20-cv-01859-JCM-BNW
01-12-2022
Peter Goldstein [SBN 6992] PETER GOLDSTEIN LAW CORP Attorney for Plaintiffs GERALD ELMER NAPOUK, individually and as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK, MARY NAPOUK, individually and as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK, and FREDRICK WAID as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK MARQUIS AURBACH COFFING Craig R. Anderson (SBN 6882) Attorneys for Defendants LAS VEGAS METROPOLITAN POLICE DEPARTMENT BUFORD KENTON AND CAMERAN GUNN
Peter Goldstein [SBN 6992]
PETER GOLDSTEIN LAW CORP
Attorney for Plaintiffs GERALD ELMER NAPOUK, individually and as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK, MARY NAPOUK, individually and as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK, and FREDRICK WAID as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK
MARQUIS AURBACH COFFING
Craig R. Anderson (SBN 6882)
Attorneys for Defendants LAS VEGAS METROPOLITAN POLICE DEPARTMENT BUFORD KENTON AND CAMERAN GUNN
STIPULATION TO EXTEND DEADLINE FOR PLAINTIFFS TO RESPOND TO DEFENDANTS' MOTION FOR SUMMARY JUDGMENT (DOCKET NO. 26)
Plaintiffs, GERALD ELMER NAPOUK, individually and as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK, MARY NAPOUK, individually and as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK, and FREDRICK WAID as Co-Special Administrator of the Estate of LLOYD GERALD NAPOUK and Defendants LAS VEGAS METROPOLITAN POLICE DEPARTMENT, BUFORD KENTON and CAMERAN GUNN (collectively hereinafter the “PARTIES”), by and through their counsel of record, hereby stipulate and agree as follows:
1. The PARTIES agree to extend the time for Plaintiffs to file their response to Defendants Motion for Summary Judgment from January 28, 2022 to March 1, 2022.
IT IS SO STIPULATED.
ORDER
IT IS SO ORDERED.