Opinion
2:20-cv-02202-RFB-BNW
01-18-2023
WILLIAM J. PASIECZNIK, Plaintiff, v. HOME DEPOT U.S.A., INC.; a foreign Corporation authorized to conduct business in Nevada; DOE PROPERTY OWNER; ROE PROPERTY OWNER; DOE PROPERTY MANAGER; ROE PROPERTY MANAGEMENT COMPANY; DOE SECURITY EMPLOYEE; ROE SECURITY COMPANY; DOES I through X; and ROE CORPORATIONS, XI through XX, inclusive,
BOWEN LAW OFFICES JEROME R. BOWEN, ESQ. Nevada Bar No. 4540 JEFFREY W. CHRONISTER, ESQ. Nevada Bar No. 15194 RESNICK & LOUIS, P.C. LYNN V. RIVERA, ESQ. Nevada Bar No. 6797 Attorney for Defendant
BOWEN LAW OFFICES
JEROME R. BOWEN, ESQ. Nevada Bar No. 4540
JEFFREY W. CHRONISTER, ESQ. Nevada Bar No. 15194
RESNICK & LOUIS, P.C.
LYNN V. RIVERA, ESQ. Nevada Bar No. 6797 Attorney for Defendant
STIPULATION TO EXTEND TIME TO FILE PLAINTIFF'S RESPONSE TO DEFENDANT HOME DEPOT U.S.A., INC.'S MOTION TO EXCLUDE EXPERT TESTIMONY OR OPINION FROM NON-RETAINED TREATMENT PROVIDERS PURSUANT TO RULE 37(C)- (ECF 69) (FIRST REQUEST)
BRENDA WEKSLER UNITED STATES MAGISTRATE JUDGE
Plaintiff and Defendant have stipulated and agreed to an extension of time from January 17, 2023 to January 20, 2023 for Plaintiff to file his Response to Defendant's Motion to Exclude Expert Testimony or Opinion from Plaintiff's Non-retained Treatment Providers Pursuant to Rule 37(c) (ECF 69) filed on January 3, 2023. The reasons supporting this stipulation are as follows: Plaintiff's counsel was scheduled for trial beginning January 17, 2023, which was recently vacated, as well as been traveling on out-of-state depositions and meetings. Plaintiff's Counsel requires additional time to meet and confer with his client in preparations for his response. The Plaintiff wishes to provide the Court a complete outline of facts and issues.
This is the first extension of time requested by the Parties related to this Motion, which is made in good faith and not for purposes of delay.
ORDER
IT IS SO ORDERED