Miller v. Clark County

District Court, D. Nevada·Decided July 3, 2024·No. 2:23-cv-00070·Unknown

Opinion

SAO Nevada Bar No. 6296 Nevada Bar No. 11556 Nevada Bar No. 16075 9075 W. Diablo Drive, Suite 302 Las Vegas, Nevada 89148 Telephone: (702) 804-0706 E-Mail: lfink@springelfink.com nduncan@springelfink.com cermer@springelfink.com efiling@spingelfink.com Attorneys for Defendants/Cross-Defendant MARCO SOLORIO and LEONARD MORRIS

UNITED STATES DISTRICT COURT DISTRICT OF NEVADA MACK MILLER, an individual; Case No.: 2:23-cv-00070-CDS-DJA

Plaintiff, STIPULATION AND ORDER TO EXTEND vs. DISCOVERY DEADLINES

CLARK COUNTY, NEVADA, a political [FOURTH REQUEST] subdivision; DOE CLARK COUNTY OFFICERS, in their personal capacities; DOE PRIVATE SECURITY GUARDS, in their personal capacities; PREVENTIVE MEASURES SECURITY FIRM, LLC, a domestic limited liability company; MARCO SOLORIO, individually; LEONARD MORRIS, individually; ROE PRIVATE SECURITY COMPANY; DOES 1 through 20; ROE BUSINESS ENTITIES 1 through 20, inclusive jointly and severally, Defendants. CLARK COUNTY, a Political Subdivision of State of Nevada,

Cross-Claimant, vs. PREVENTIVE MEASURES SECURITY FIRM, LLC, a domestic limited liability Company, Cross-Defendant.

STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINES [FOURTH REQUEST] IT IS HEREBY STIPULATED AND AGREED by and between the parties hereto, by and through their respective counsel, that the discovery deadlines shall be extended in this matter. I. DISCOVERY COMPLETED TO DATE The parties have participated in the following discovery to date: 1. Plaintiff’s FRCP 26(a)(1) Initial disclosures; 2. Plaintiff’s FRCP 26(a)(1) First Supplemental disclosures; 3. Plaintiff’s FRCP 26(a)(1) Second Supplemental disclosures; 4. Plaintiff’s FRCP 26(a)(1) Third Supplemental disclosures; 5. Plaintiff’s FRCP 26(a)(1) Fourth Supplemental disclosures; 6. Plaintiff’s FRCP 26(a)(1) Fifth Supplemental disclosures; 7. Plaintiff’s FRCP 26(a)(1) Sixth Supplemental disclosures; 8. Plaintiff’s FRCP 26(a)(1) Seventh Supplemental disclosures; 9. Plaintiff’s FRCP 26(a)(1) Eighth Supplemental disclosures; 10. Defendant Clark County’s FRCP 26(a)(1) Initial disclosures; 11. Defendant Clark County’s FRCP 26(a)(1) First Supplemental disclosures; 12. Defendant Clark County’s FRCP 26(a)(1) Second Supplemental disclosures; 13. Defendant Clark County’s FRCP 26(a)(1) Third Supplemental disclosures; 14. Defendant Preventive Measures’ FRCP 26(a)(1) Initial disclosures; 15. Defendant Preventive Measures’ FRCP 26(a)(1) First Supplemental disclosures; 16. Defendant Preventive Measures’ FRCP 26(a)(1) Second Supplemental disclosures; 17. Defendant Preventive Measures’ FRCP 26(a)(1) Third Supplemental disclosures; 18. Defendant Clark County’s First Set of Requests for Admissions to Preventive Measures; 19. Defendant Clark County’s First Set of Requests for Production of Documents to Preventive Measures; 20. Defendant Clark County’s First Set of Interrogatories to Preventive Measures; 21. Defendant Preventive Measures’ Response to Defendant Clark County’s First Set of Requests for Admissions; 22. Defendant Preventive Measures’ Response to Defendant Clark County’s First Set of Requests for Production of Documents; 23. Defendant Preventive Measures’ Response to Defendant Clark County’s First Set of Interrogatories; 24. Defendant Clark County’s First Set of Interrogatories to Plaintiff; 25. Defendant Clark County’s First Set of Requests for Admissions to Plaintiff; 26. Defendant Clark County’s First Set of Requests for Production of Documents to Plaintiff; 27. Plaintiff’s Responses to Defendant Clark County’s First Set of Requests for Admissions; 28. Plaintiff’s Responses to Defendant Clark County’s First Set of Requests for Production of Documents; 29. Plaintiff’s Responses to Defendant Clark County’s First Set of Interrogatories; 30. Defendant Preventive Measures’ First Set of Interrogatories to Plaintiff; 31. Defendant Preventive Measures’ First Set of Requests for Admissions to Plaintiff; 32. Defendant Preventive Measures’ First Set of Requests for Production of Documents to Plaintiff; 33. Plaintiff’s Responses to Defendant Preventive Measures First Set of Requests for Admissions; 34. Plaintiff’s Responses to Defendant Preventive Measures First Set of Requests for Production of Documents; 35. Plaintiff’s Responses to Defendant Preventive Measures First Set of Interrogatories; 36. Plaintiff’s First Set of Interrogatories to Defendant Preventive Measures; 37. Plaintiff’s First Set of Requests for Admissions to Defendant Preventive Measures; 38. Plaintiff’s First Set of Requests for Production to Defendant Preventive Measures; 39. Plaintiff’s First Set of Interrogatories to Defendant Clark County; 40. Plaintiff’s First Set of Requests for Admissions to Defendant Clark County; 41. Plaintiff’s First Set of Requests for Production to Defendant Clark County; 42. Defendant Preventive Measures’ Responses to Plaintiff’s First Set of Requests for Admissions to Defendant Preventive Measures; 43. Defendant Clark County’s Responses to Plaintiff’s First Set of Interrogatories to Defendant Clark County; 44. Defendant Clark County’s Responses to Plaintiff’s First Set of Requests for Admissions to Defendant Clark County; 45. Defendant Clark County’s Responses to Plaintiff’s First Set of Requests for Production to Defendant Clark County; 46. Defendant Preventive Measures’ Responses to Plaintiff’s First Set of Interrogatories and Request for Production; 47. Deposition of Plaintiff (completed February 21, 2024); 48. Deposition of Kate Murray (completed February 15, 2024); 49. Deposition of Brian Cooperman (completed February 15, 2024); 50. Deposition of Elando Johnson (completed February 15, 2024); 51. Plaintiff’s FRCP 26(a)(1) Ninth Supplemental disclosures; 52. Defendant Clark County’s FRCP 26(a)(1) Fourth Supplemental disclosures; 53. Defendant Clark County’s FRCP 26(a)(1) Fifth Supplemental disclosures; 54. Defendant Clark County’s FRCP 26(a)

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Miller v. Clark County, (D. Nev. 2024).

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