Miller v. Clark County

District Court, D. Nevada·Decided May 6, 2024·No. 2:23-cv-00070·Unknown

Opinion

1 SAO 2 Jonathan B. Lee, Esq. Nevada Bar No. 13524 801 South Fourth Street 4 Las Vegas, Nevada 89101 Phone: (702) 444-4444 5 Fax: (702) 444-4455 6 Email: jlee@richardharrislaw.com Attorney for Plaintiff 7 UNITED STATES DISTRICT COURT 8 DISTRICT OF NEVADA 9 MACK MILLER, an individual; 10 CASE NO. 2:23-cv-00070-CDS-DJA Plaintiff, 11 STIPULATION AND ORDER TO vs. 12 EXTEND DISCOVERY DEADLINES CLARK COUNTY, NEVADA, a political 13 subdivision; DOE CLARK COUNTY (Third Request) 14 OFFICERS, in their personal capacities; DOE PRIVATE SECURITY GUARDS, in their 15 personal capacities; PREVENTIVE MEASURES SECURITY FIRM, LLC, a 16 domestic limited liability company; MARCO 17 SOLORIO, individually; LEONARD MORRIS, individually; ROE PRIVATE SECURITY 18 COMPANY; DOES 1 through 20; ROE BUSINESS ENTITIES 1 through 20, inclusive 19 jointly and severally, 20 Defendants. 21 CLARK COUNTY, a Political Subdivision of State of Nevada, 22 23 Cross-claimant, vs. 24 PREVENTIVE MEASURES SECURITY 25 FIRM, LLC, a domestic limited liability 26 company. 27 Cross-defendant, 28 IT IS HEREBY STIPULATED AND AGREED by and between the parties hereto, by an: 2 through their respective counsel that the discovery deadlines shall be extended in this matter. 3 I. DISCOVERY COMPLETED TO DATE! 4 The parties have participated in the following discovery to date: 5 1. Plaintiff's FRCP 26(a)(1) Initial disclosures; 6 2. Plaintiff's FRCP 26(a)(1) First Supplemental disclosures; 7 3. Plaintiff's FRCP 26(a)(1) Second Supplemental disclosures; 8 4. Plaintiff's FRCP 26(a)(1) Third Supplemental disclosures; 9 5. Plaintiff's FRCP 26(a)(1) Fourth Supplemental disclosures; 10 6. Plaintiff's FRCP 26(a)(1) Fifth Supplemental disclosures; M1 7. Plaintiff’s FRCP 26(a)(1) Sixth Supplemental disclosures; 12 8. Plaintiff’s FRCP 26(a)(1) Seventh Supplemental disclosures; 13 9. Plaintiff’s FRCP 26(a)(1) Eighth Supplemental disclosures; z 14 10... Defendant Clark County’s FRCP 26(a)(1) Initial disclosures; mn 1S 11. Defendant Clark County’s FRCP 26(a)(1) First Supplemental disclosures; 16 12. Defendant Clark County’s FRCP 26(a)(1) Second Supplemental disclosures; “47 13. Defendant Clark County’s FRCP 26(a)(1) Third Supplemental disclosures; 18 14. Defendant Preventive Measures’ FRCP 26(a)(1) Initial disclosures; 19 15. Defendant Preventive Measures’ FRCP 26(a)(1) First Supplemental disclosures; 20 16. Defendant Preventive Measures’ FRCP 26(a)(1) Second Supplemental disclosures; 21 17. Defendant Preventive Measures’ FRCP 26(a)(1) Third Supplemental disclosures; 22 18. Defendant Clark County’s First Set of Requests for Admissions to Preventiv Measures; 24 19. Defendant Clark County’s First Set of Requests for Production of Documents t Preventive Measures; 26 20. Defendant Clark County’s First Set of Interrogatories to Preventive Measures; 27 ei The numbered paragraphs in bold indicate tbe discovery that has been completed since the last □□□□□□□□□□ extension.

21. Defendant Preventive Measures’ Response to Defendant Clark County’s First Se 2 of Requests for Admissions; 3 22. Defendant Preventive Measures’ Response to Defendant Clark County’s First Se 4 Requests for Production of Documents; 5 23. Defendant Preventive Measures’ Response to Defendant Clark County’s First Se 6 of Interrogatories; 7 24. Defendant Clark County’s First Set of Interrogatories to Plaintiff; 8 25. Defendant Clark County’s First Set of Requests for Admissions to Plaintiff; 9 26. Defendant Clark County’s First Set of Requests for Production of Documents t 10 Plaintiff; M1 27. Plaintiffs Responses to Defendant Clark County’s First Set of Requests fo 12 Admissions; 13 28. Plaintiffs Responses to Defendant Clark County’s First Set of Requests fo 2 14 | Production of Documents; mn 1S 29. Plaintiff's Responses to Defendant Clark County’s First Set of Interrogatories; 16 30. Defendant Preventive Measures’ First Set of Interrogatories to Plaintiff; “47 31. Defendant Preventive Measures’ First Set of Requests for Admissions to Plaintiff; 18 32. Defendant Preventive Measures’ First Set of Requests for Production of Document 19 to Plaintiff; 20 33. Plaintiff's Responses to Defendant Preventive Measures First Set of Requests fo 21 Admissions; 22 34. ‘Plaintiff's Responses to Defendant Preventive Measures First Set of Requests fo Production of Documents; 24 35. Plaintiffs Responses to Defendant Preventive Measures First Set o 25 Interrogatories; 26 36. Plaintiffs First Set of Interrogatories to Defendant Preventive Measures; 27 37. Plaintiff’s First Set of Requests for Admissions to Defendant Preventive Measures; 28 38. — Plaintiff’s First Set of Requests for Production to Defendant Preventive Measures;

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

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