Opinion
2:20-cv-01781-RFB-VCF
04-04-2023
CHARLES SMITH Petitioner, v. GABRIELA NAJERA, et al., Respondents
AARON D. FORD Attorney General MATTHEW S. JOHNSON Deputy Attorney General.
AARON D. FORD Attorney General MATTHEW S. JOHNSON Deputy Attorney General.
UNOPPOSED MOTION FOR ENLARGEMENT OF TIME TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (SECOND REQUEST)
RICHARD F. BOULWARE, II UNITED STATES DISTRICT JUDGE.
Respondents, by and through counsel, AARON D. FORD, Attorney General of the State of Nevada, and MATTHEW S. JOHNSON, Deputy Attorney General, hereby respectfully move this Court for an order granting a sixty (60) day enlargement of time, to and including Tuesday, June 6, 2023, in which to file and serve their reply in support of motion to dismiss.
This motion is based upon the provisions of Rule 6(b) of the Federal Rules of Civil Procedure as well as the attached declaration of counsel and all other papers, documents, records, pleadings, and other materials on file herein. There has been one prior enlargement of Respondents' time to file said reply, and appointed counsel for the petitioner has indicated there is no objection to the request. This motion is made in good faith and not for the purposes of delay.
RESPECTFULLY SUBMITTED.
DECLARATION OF COUNSEL
I, Matthew S. Johnson, hereby state, based on personal knowledge and/or information and belief, that the assertions of this declaration are true:
1. I am a Deputy Attorney General of the Post-Conviction Division of the Nevada Attorney General's Office, and I make this declaration on behalf of Respondents' motion for enlargement of time.
2. My response in this matter is presently due on April 7, 2023. I respectfully request a 60-day extension to complete my response.
3. I took over this case from a Deputy Attorney General who is no longer with our office. I am currently working on responses to pleadings for a number of other federal habeas petitions and just finished a Ninth Circuit opening brief.
4. The Post-Conviction Division of the Nevada Attorney General's Office is presently staffed by 10 full-time post-conviction attorneys, two attorneys who primarily work for other divisions, and one legal researcher who is shared with other divisions. Among other duties, the attorneys in the Post-Conviction Division respond to all federal habeas cases (in the district court and appeal), all state habeas cases involving time-computation issues (in state district court and appeal), all extradition and rendition matters, all wrongful conviction compensation cases, and all appeals and post-conviction cases arising from Attorney General criminal prosecutions.
5. For the foregoing reasons, I respectfully request that this Court grant this request to extend the time for responding in this matter to June 6, 2023.
6. I contacted counsel for the petitioner and they have no objection to this request.
Pursuant to 28 U.S.C. § 1746, Declarant herein certifies, under penalty of perjury, that the foregoing is true and correct.
ORDER
IT IS SO ORDERED.