Opinion
2:20-cv-02193-JCM-EJY 2:21-cv-00006-RFB-VCF
10-25-2023
JASON M. FRIERSON United States Attorney Nevada Bar No. 7709 STEPHEN R. HANSON II Assistant United States Attorney Attorneys for the United States
JASON M. FRIERSON United States Attorney Nevada Bar No. 7709 STEPHEN R. HANSON II Assistant United States Attorney Attorneys for the United States
STIPULATION TO VACATE SETTLEMENT CONFERENCE
The parties, by and through their undersigned counsel, hereby agree and stipulate to vacating the November 1, 2023 settlement conference scheduled in this case. Discovery currently closes on November 20, 2023. The Portillo Plaintiffs have made three supplemental discovery disclosures in the past month with the most recent disclosure on October 19, and they may need to further supplement their disclosures. Plaintiff City is in the process of making an additional supplemental disclosure. Due the continuing discovery, the parties agree that further discovery is necessary and having a settlement conference at this time is premature. The parties therefore respectfully request that the Court vacate the settlement conference scheduled for November 1, 2023. The parties will request an extension of the close of discovery and have settlement discussions. If necessary, the parties will request a settlement conference after the close of discovery.
IT IS SO ORDERED.
IT IS FURTHER ORDERED that the settlement conference set for November 1, 2023 at 9:00 a.m. is VACATED.