Opinion
Civil Action 2:22-cv-1709-JAD-BNW
11-29-2022
THE BACH LAW FIRM, LLC JASON J. BACH ATTORNEY FOR PLAINTIFF CLARK COUNTY SCHOOL DISTRICT OFFICE OF ATTORNEY GENERAL NICHOLAS T. PETSAS ATTORNEY FOR DEFENDANT
THE BACH LAW FIRM, LLC JASON J. BACH ATTORNEY FOR PLAINTIFF
CLARK COUNTY SCHOOL DISTRICT OFFICE OF ATTORNEY GENERAL NICHOLAS T. PETSAS ATTORNEY FOR DEFENDANT
STIPULATION AND ORDER TO EXTEND DEADLINE FOR PLAINTIFF TO FILE OPPOSITION TO DEFENDANT'S MOTION TO DISMISS [ECF NO. 5] (FIRST REQUEST) ECF NO. 7
Plaintiff TAMMY WOLFE (“Plaintiff”' or “Ms. Wolfe”) and Defendant Clark County School District (“Defendant” or “CCSD”) by and through their respective counsel of record, hereby stipulate to the following:
1. The Parties hereby stipulate and agree that Plaintiff shall have an additional fourteen (14) days to file her Opposition to Defendant's Motion to Dismiss (ECF No. 5), which was filed on November 21, 2022.
2. The current deadline for Plaintiff to file her Opposition to Defendant's Motion to Dismiss is December 5, 2022, and the requested 14 day extension would make the new deadline be December 19, 2022.
3. This extension is the first request and is made in good faith and is not for the purpose of delay.
ORDER
IT IS SO ORDERED.