Opinion
2:22-cv-00435-APG-BNW
11-17-2022
GALLIAN WELKER & ASSOCIATES, L.C. MICHAEL I. WELKER, TRAVIS N. BARRICK ESQ. ATTORNEYS FOR PLAINTIFF JASON M. FRIERSON UNITED STATES ATTORNEY HOLLY A. VANCE, ASST. U.S. ATTORNEY ATTORNEYS FOR DEFENDANTS NATHAN E. LAWRENCE, ESQ.,
GALLIAN WELKER & ASSOCIATES, L.C. MICHAEL I. WELKER, TRAVIS N. BARRICK ESQ. ATTORNEYS FOR PLAINTIFF
JASON M. FRIERSON UNITED STATES ATTORNEY HOLLY A. VANCE, ASST. U.S. ATTORNEY ATTORNEYS FOR DEFENDANTS
NATHAN E. LAWRENCE, ESQ.,
STIPULATION AND ORDER ON SUPPLEMENTAL BRIEFING
Pursuant to this Court's November 7, 2022, Order for Supplemental Briefs [ECF No. 21] with respect to the pending Defendant's Motion to Transfer Venue to District of Utah [ECF No. 9], Plaintiff STERLING HARDISTY TAYLOR, by and through the law firm of GALLIAN WELKER & ASSOCIATES, L.C., and Defendant UNITED STATES DEPARTMENT OF AGRICULTURE, UNITED STATES FOREST SERVICE, by and through JASON M. FRIERSON, United States Attorney for the District of Nevada, hereby stipulate and agree to a supplemental briefing schedule, as follows:
• Initial and concurrent supplemental briefs due by each party on or before December 16, 2022;
• Response briefs due by each party on or before December 23, 2022;
• No reply briefs or surreplies by either party; and
• No formal discovery to be conducted by either party prior to submission of initial or response briefs.
IT IS SO STIPULATED.
IT IS SO ORDERED.