Semper v. Las Vegas Metropolitan Police Department

District Court, D. Nevada·Decided September 13, 2023·No. 2:20-cv-01875·Unknown

Opinion

Marquis Aurbach Craig R. Anderson, Esq. Nevada Bar No. 6882 Jackie V. Nichols, Esq. Nevada Bar No. 14246 10001 Park Run Drive Las Vegas, Nevada 89145 Telephone: (702) 382-0711 Facsimile: (702) 382-5816 canderson@maclaw.com jnichols@maclaw.com Attorneys for Defendants Las Vegas Metropolitan Police Department, Andrew Bauman, Matthew Kravetz, Supreet Kaur, David Jeong, and Theron Young UNITED STATES DISTRICT COURT CONNIE SEMPER1, an individual; ASHLEY Case Number: MEDLOCK, an individual; LONICIA 2:20-cv-01875-JCM-EJY BOWIE, an individual; MICHAEL GREEN, an individual; CLINTON REECE, an individual; COREY JOHNSON, an STIPULATION AND ORDER TO individual; DEMARLO RILEY, an EXTEND DISCOVERY PLAN AND individual; CORY BASS, an individual; SCHEDULING ORDER DEADLINES CARLOS BASS, an individual; BREANNA NELLUMS, an individual; and ANTONIO (FIFTH REQUEST) WILLIAMS, an individual, Plaintiffs, vs.

DEPARTMENT, in its official capacity; ANDREW BAUMAN, individually and in his capacity as a Las Vegas Metropolitan Police Department Officer; DAVID JEONG, individually and in his capacity as a Las Vegas Metropolitan Police Department Officer; SUPREET KAUR, individually and in his capacity as a Las Vegas Metropolitan Police Department Officer; MATTHEW KRAVETZ, individually and in his capacity as a Las Vegas Metropolitan Police Department Officer; and THERON YOUNG, individually and in his capacity as a Las Vegas Metropolitan Police Department Officer, Defendants. 1 Pursuant to FRCP 25, Ms. Semper has been substituted for Phillip Semper pursuant to this court’s order date January 13, 2022, as she is the executrix of his estate. Page 1 of 15 SCHEDULING ORDER DEADLINES (FIFTH REQUEST) The Represented Plaintiffs, Connie Denise Semper, as Special Administrator for the Estate of Phillip Semper, Corey Johnson, Ashley Medlock, Michael Green, Demarlo Riley, Clinton Reece, and Lonicia Bowie (“Plaintiffs”) and Defendants, the Las Vegas Metropolitan Police Department (the “Department” or “LVMPD”), Sheriff Joseph Lombardo (“Lombardo”), Andrew Bauman (“Bauman”), Matthew Kravetz (“Kravetz”), Supreet Kaur (“Kaur”), David Jeong (“Jeong”), and Theron Young (“Young”), collectively (“LVMPD Defendants”), by their respective counsel, hereby stipulate and agree to extend the Discovery Plan and Scheduling Order deadlines an additional twenty-one (21) days. This Stipulation is being entered in good faith and not for purposes of delay (supplemented information noted in bold-face type). I. STATUS OF DISCOVERY. A. PLAINTIFFS’ DISCOVERY. 1. Plaintiffs’ Initial Disclosure of Witnesses and Documents Pursuant to FRCP 26.1(a)(1) dated July 6, 2021; 2. Plaintiffs’ First Set of Interrogatories to Defendant Andrew Bauman dated July 22, 2021; 3. Plaintiffs’ First Set of Requests for Production to Defendant Andrew Bauman dated July 22, 2021; 4. Plaintiffs’ First Set of Interrogatories to Defendant David Jeong dated July 22, 2021; 5. Plaintiffs’ First Set of Requests for Production to Defendant David Jeong dated July 22, 2021; 6. Plaintiffs’ First Set of Interrogatories to Defendant Supreet Kaur dated July 22, 2021; Page 2 of 15 7. Plaintiffs’ First Set of Requests for Production to Defendant Supreet Kaur dated July 22, 2021; 8. Plaintiffs’ First Set of Interrogatories to Defendant Matthew Kravetz dated July 22, 2021; 9. Plaintiffs’ First Set of Requests for Production to Defendant Matthew Kravetz dated July 22, 2021; 10. Plaintiffs’ First Set of Interrogatories to Defendant LVMPD dated July 22, 2021; 11. Plaintiffs’ First Set of Requests for Production to Defendant LVMPD dated July 22, 2021; 12. Plaintiffs’ First Set of Interrogatories to Defendant Theron Young dated July 22, 2021; 13. Plaintiffs’ First Set of Requests for Production to Defendant Theron Young dated July 22, 2021; 14. Plaintiffs’ First Supplemental Disclosure of Witnesses and Documents Pursuant to FRCP 26.1(a)(1) dated July 30, 2021; 15. Plaintiffs’ Second Set of Interrogatories to LVMPD dated July 30, 2021; 16. Plaintiffs’ Second Set of Requests for Production of Documents to LVMPD dated July 30, 2021; 17. Plaintiffs' Third Set of Requests for Production to LVMPD dated October 22, 2021; 18. Plaintiffs' Fourth Set of Requests for Production of Documents to LVMPD dated March 31, 2022; 19. Plaintiffs' Second Supplemental FRCP 26.1 Disclosures dated March 31, 2022; 20. Plaintiff Corey Johnson's Answers to Defendants' First Set of Requests for Admissions dated April 15, 2022; Page 3 of 15 21. Plaintiff Corey Johnson's Answers to Defendants' First Set of Interrogatories dated April 15, 2022; 22. Plaintiff Connie Semper's Answers to Defendants' First Set of Requests for Admissions dated April 15, 2022; 23. Plaintiff Connie Semper's Answers to Defendants' First Set of Interrogatories dated April 15, 2022; 24. Plaintiff Michael Green's Answers to Defendants' First Set of Requests for Admissions dated April 15, 2022; 25. Plaintiff Michael Green's Answers to Defendants' First Set of Interrogatories dated April 15, 2022; 26. Plaintiff Ashley Medlock's Answers to Defendants' First Set of Requests for Admissions dated April 15, 2022; 27. Plaintiff Ashley Medlock's Answers to Defendants' First Set of Interrogatories dated April 15, 2022; 28. Plaintiff Lonicia Bowie's Answers to Defendants' First Set of Requests for Admissions dated April 15, 2022; 29. Plaintiff Lonicia Bowie's Answers to Defendants' First Set of Interrogatories dated April 15, 2022; 30. Plaintiff Clinton Reece's Answers to Defendants' First Set of Requests for Admissions dated April 15, 2022; 31. Plaintiff Clinton Reece's Answers to Defendants' First Set of Interrogatories dated April 15, 2022; 32. Plaintiff Demarlo Riley's Answers to Defendants' First Set of Requests for Admissions dated April 15, 2022; 33. Plaintiff Demarlo Riley's Answers to Defendants' First Set of Interrogatories dated April 15, 2022; 34. Plaintiffs' Third Set of Interrogatories to LVMPD dated February 8, 2023; Page 4 of 15 35. Plaintiffs' Second Set of Interrogatories to Defendant Andrew Bauman dated February 16, 2023; 36. Plaintiffs' First Set of Requests for Admissions to Defendant Andrew Bauman dated February 16, 2023; 37. Plaintiffs' Fifth Set of Requests for Production to LVMPD dated February 27, 2023; 38. Michael Green's First Amended Answers to LVMPD's First Set of Interrogatories dated March 23, 2023; 39. Plaintiffs' Third Supplemental FRCP 26.1 Disclosures dated February 27, 2023; 40. Plaintiffs’ Expert Witness 26.1 FRCP Disclosures dated July 17, 2023; 41. Plaintiffs’ Fourth Supplemental FRCP 26.1 Disclosures dated July 31, 2023; 42. Plaintiffs' Fourth Set of Interrogatories to LVMPD dated August 9, 2023; 43. Plaintiffs' Sixth Set of Requests for Production to LVMPD dated August 9, 2023; 44. Plaintiffs' First Set of Requests for Admissions to LVMPD dated August 9, 2023; 45. Plaintiffs’ Fifth Supplemental FRCP 26.1 Disclosures dated August 24, 2023; 46. Corey Johnson's Amended Answers to LVMPD's First Set of Requests for Admissions dated August 28, 2023; 47. Connie Semper's Amended Answers to LVMPD's First Set for Requests for Admissions dated August 29, 2023; 48. Demarlo Riley's Amended Answers to LVMPD's First Set for Requests for Admissions dated August 29, 2023; Page 5 of 15 49. Clinton Reece's Amended Answers to LVMP

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Semper v. Las Vegas Metropolitan Police Department, (D. Nev. 2023).

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