Opinion
2:22-cv-00219-GMN-VCF
08-29-2023
DICKINSON WRIGHT PLLC JUSTIN J. BUSTOS BROOKS T. WESTERGARD Attorneys for Nevada State Board of Nursing
DICKINSON WRIGHT PLLC
JUSTIN J. BUSTOS
BROOKS T. WESTERGARD
Attorneys for Nevada State Board of Nursing
STIPULATION TO EXTEND BRIEFING SCHEDULE ON DEFENDANT NEVADA STATE BOARD OF NURSING'S MOTION FOR ATTORNEYS FEES AND COSTS (ECF NO. 79)
(FIRST REQUEST)
Defendant Nevada State Board of Nursing (the “Nursing Board”), through its counsel Dickinson Wright PLLC, and Plaintiff William Sabatini, appearing pro se, stipulate and agree as follows:
1. On August 17, 2023, the Nursing Board file its Motion for Attorneys Fees and Costs (ECF No. 79).
2. On August 22, 2023, Mr. Sabatini filed his Motion for Extension of Time to Reply to Defendants Motion for Attorney's Fees (ECF No. 80). In this Motion, Mr. Sabatini requests an extension to September 22, 2023, to respond to the Motion for Attorneys' Fees and Costs.
3. The parties have conferred and agree upon the following briefing schedule:
a. Mr. Sabatini's response shall be due on or before September 22, 2023;
b. The Nursing Board's reply shall be due on or before October 6, 2023.
4. In light of the parties' stipulation, Mr. Sabatini agrees to withdraw his Motion for Extension of Time to Reply to Defendants Motion for Attorney's Fees (ECF No. 80).
5. This stipulation is made in good faith to allow the parties adequate time to fully brief the issues raised in the Nursing Board's Motion for Attorneys' Fees and Costs and not for the purpose of delay.
IT IS SO AGREED AND STIPULATED.
IT IS SO ORDERED.