Leigh v. Raby

District Court, D. Nevada·Decided October 8, 2024·No. 3:22-cv-00034·Unknown

Opinion

TODD KIM, Assistant Attorney General S.JAY GOVINDAN, Section Chief BRIDGET K. MCNEIL, Assistant Section Chief CHRISTIAN H. CARRARA (NJ Bar No. 317732020) SAMANTHA G. PELTZ (IL Bar No. 6336536) U.S. Department of Justice Environment and Natural Resources Division Wildlife and Marine Resources Section, Natural Resources Section P.O. Box 7611 Washington, DC 20044 Tel: (202) 598-9736 (Carrara) Fax: (202) 305-0275 Email: Christian.Carrara@usdoj.gov Attorneys for Federal Defendants UNITED STATES DISTRICT COURT ANIMAL WELLNESS ACTION, a non- ) profit corporation, CANA FOUNDATION, ) a non-profit corporation, THE CENTER FOR ) A HUMANE ECONOMY, a non-profit ) Case No: 3:22-cv-00034-MMD-CLB corporation, LAURA LEIGH, individually, and ) WILD HORSE EDUCATION, a non-profit ) corporation, ) ) Plaintiffs, ) ORDER GRANTING FOURTH ) JOINT STIPULATION TO EXTEND v. ) THE DEADLINE FOR FILING A ) UNITED STATES DEPARTMENT OF ) MOTION FOR ATTORNEYS’ FEES INTERIOR, BUREAU OF LAND ) MANAGEMENT, and JON RABY, ) Nevada State Director of the Bureau of Land ) Management, ) ) Defendants. ) Pursuant to Local Rule IA 6-1, Plaintiffs Animal Wellness Action, Cana Foundation, The Center for a Humane Economy, Laura Leigh, and Wild Horse Education, and Defendants United States Department of Interior, Bureau of Land Management (“BLM”), and Jon Raby, in his official capacity as Nevada State Director of the BLM (collectively, the “Parties”), by and through their undersigned counsel, hereby stipulate and respectfully request that the Court extend the time to file any motions related to attorneys’ fees and costs 32 days, until November 12, 2024. The Parties declare in support of this request: WHEREAS, on March 28, 2024, the Court issued an opinion and order on the Parties’ cross-motions for summary judgment. ECF No. 81. WHEREAS, on March 29, 2024, judgment was entered by the Clerk of the Court. ECF No. 82. WHEREAS, on April 10, 2024, the Parties filed a joint stipulation to extend the time needed to explore the settlement of attorneys’ fees and costs. ECF No. 83. WHEREAS, on April 11, 2024, the Court granted the Parties’ joint stipulation. ECF No. 84. WHEREAS, on June 6, 2024, the Parties filed a second joint stipulation to extend the time needed to explore the settlement of attorneys’ fees and costs. ECF No. 87. WHERAS, on June 6, 2024, the Court granted the Parties’ second joint stipulation. ECF No. 88. WHEREAS, on August 1, 2024, the Parties filed a third joint stipulation to extend the time needed to explore the settlement of attorneys’ fees and costs. ECF No. 93. WHEREAS, on August 1, 2024, the Court granted the Parties’ third joint stipulation and extended the deadline for Plaintiffs to file a motion for attorneys’ fees until October 11, 2024. ECF No. 94. WHEREAS, the Parties have reached an agreement in principle, and agree that an additional 32 days is necessary to finalize and obtain approval for any settlement agreement. WHEREAS, it is well-established that the court has the inherent power to “control the disposition of the causes on its docket with economy of time and effort for itself, for counsel, and for litigants.” Landis v. North Am. Co., 299 U.S. 248, 254 (1936); CMAX, Inc. v. Hall, 300 F.2d 265, 268 (9th Cir. 1962); Leyva v. Certified Grocers of California, 593 F.2d 857, 863-64 (9th Cir. 1979). NOW, THEREFORE, IT IS STIPULATED BY AND BETWEEN THE PARTIES, AND THE COURT ORDERS, AS FOLLOWS: 1. Upon entry of the Court’s order, the deadline to file any motion for attorneys’ fees and costs is extended from October 11, 2024, until November 12, 2024. Dated: October 8, 2024 Respectfully submitted, TODD KIM Assistant Attorney General U.S. Department of Justice Environment & Natural Resources Division S.JAY GOVINDAN, Section Chief BRIDGET K. MCNEIL, Assistant Section Chief /s/ Christian H. Carrara CHRISTIAN H. CARRARA, Trial Attorney (NJ Bar No. 317732020) Wildlife and Marine Resources Section SAMANTHA PELTZ, Trial Attorney (IL Bar No. 6336536) Natural Resources Section Ben Franklin Station P.O. Box 7611 Washington, D.C. 20044 Tel: (202) 598-9736 (Carrara) Fax: 202-305-0275 Christian.carrara@usdoj.gov Of Counsel: Janell M. Bogue U.S. Dep’t of the Interior Office of the Solicitor Pacific Southwest Region Attorneys for Federal Defendants /s/ Jessica L. Blome Jessica L. Blome (Cal. Bar No. 314898, admitted pro hac vice) J.RAE LOVKO (Cal. Bar No. 208855, admitted pro hac vice) 2748 Adeline Street, Suite A Berkeley, CA 94703 (510) 900-9502 jblome@ greenfirelaw.com rlovko@ greenfirelaw.com Attorneys for Plaintiffs IT IS $00 ebipEDY “iid

UNITED STATES DISTRICT JUDGE

i DATED: _October 2024

CERTIFICATE OF SERVICE I hereby certify that on October 8, 2024, I electronically filed the foregoing document with the Clerk of the Court for the United States District Court for the District of Nevada using the Court’s CM/ECF system. Participants in the case who are registered CM/ECF users will be served by the appellate CM/ECF system, which includes counsel of record for all parties in the case. /s/ Christian H. Carrara CHRISTIAN H. CARRARA Attorney for Federal Defendants

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Related

Landis v. North American Co.
299 U.S. 248 (Supreme Court, 1936)
Cmax, Inc. v. Hall
300 F.2d 265 (Ninth Circuit, 1962)