- Attorney General 2 SAMUEL L. PEZONE, JR. (Bar No. 15978) Deputy Attorney General 3 State of Nevada Office of the Attorney General 4 1 State of Nevada Way, Suite 100 Las Vegas, Nevada 89119 5 (702) 486-4070 (phone) (702) 486-3768 (fax) 6 Email: spezone@ag.nv.gov 7 AARON D. FORD Attorney General 8 DOUGLAS R. RANDS (Bar No. 3572) Senior Deputy Attorney General 9 State of Nevada 100 N. Carson Street 10 Carson City, Nevada 89701-4717 Tel: (775) 684-1150 11 E-mail: drands@ag.nv.gov 12 Attorneys for Defendant Dent Kirkland 13 UNITED STATES DISTRICT COURT 14 DISTRICT OF NEVADA 15 TROY EMANUEL, JR., Case No. 3-21-cv-00308-CSD ORDER GRANTING 16 Plaintiff, DEFENDANT’S MOTION FOR EXTENSION OF TIME TO FILE 17 v. DISPOSITIVE MOTIONS AND TO RESPOND TO ECF NO. 53 18 D. KIRKLAND, et al, (SECOND REQUEST) 19 Defendants. 20 Defendant, Dent Kirkland, by and through counsel, Aaron D. Ford, Attorney General 21 for the State of Nevada, Samuel L. Pezone, Jr., Deputy Attorney General, and Senior 22 Deputy Attorney General, Douglas R. Rands, hereby request an extension of the time to 23 file a response to Plaintiff Troy Emanuel’s (Emanuel) Motion for Summary Judgment (ECF 24 No. 53), and of the current deadline to file dispositive motions. This is Defendant’s first 25 request for the former extension, and their second request regarding the latter extension. 26 /// 27 /// 28 /// 2 I. LEGAL STANDARD 3 Pursuant to Fed. R. Civ. P. 6(b), the “court may, for good cause, extend the time . . . 4 with or without motion or notice . . . if a request is made, before the original time or its 5 extension expires.” Likewise, to prevail on a motion to extend previous scheduling order 6 deadlines, the moving party show “good cause.” Fed. R. Civ. P. 16(b)(4); LR 26-3. 7 To demonstrate good cause, the part must show “that, even in the exercise of due 8 diligence, [the parties were] unable to meet the timetable set forth in the order.” Cruz v. City 9 of Anaheim, CV-10-03997-MMM-JEMX, 2011 WL 13214312, at *2 (C.D. Cal. Dec. 19, 2011) 10 (citing Zivkovic v. Southern California Edison Co., 302 F.3d 1080, 1087 (9th Cir. 2002); 11 Johnson v. Mammoth Recreations, Inc., 975 F.2d 604, 609 (9th Cir. 1992)). Prejudice to the 12 opposing party is a factor in determining good cause, though lack of prejudice is “not a 13 prerequisite.” Id. 14 II. ARGUMENT 15 Defendant seeks a first extension of time to respond to Plaintiff’s Motion for 16 Summary Judgment (ECF No. 53), and a second extension of their deadline to file 17 dispositive motions. Good cause is present to extend both of these deadlines to 45 days from 18 the date of this motion, or until November 22, 2024. 19 On September 17, 2024, Emanuel filed his Motion for Summary Judgment. ECF 20 No. 53. Undersigned counsel has diligently attempted to review Emanuel’s motion, and to 21 timely begin a response, but has been unable to do so. Counsel has only recently been 22 assigned this case on September 17, 2024. Counsel is still reviewing the pleadings and 23 papers necessary to prepare a succinct response, as well as Defendant’s own dispositive 24 motion. 25 The extension requested by Defendant will enable counsel to complete his analysis 26 of the motion and any additional pleadings and papers in this case necessary to formulate 27 a response to Plaintiff’s motion, and to concurrently file Defendant’s own dispositive 28 motion. Accordingly, Defendant respectfully requests that the extension be granted for good 1 ||cause shown. See Ahanchian v. Xenon Pictures, Inc., 624 F.3d 1258, 1260, (9th Cir. 2010) 2 || (holding that the “district court abused its discretion in denying party’s timely motion” to 3 |}extend time because the party “demonstrated the ‘good cause’ required by Rule 6, and 4 because there was no reason to believe that [the party] was acting in bad faith or was 5 || misrepresenting his reasons for asking for the extension’). 6 CONCLUSION 7 Defendant requests an extension of time until November 22, 2024, to file Defendant’s 8 || dispositive motion and a concurrent response to Plaintiff's Motion for Summary Judgment. 9 || Good cause is present to extend these deadlines. 10 DATED this 8* day of October, 2024. 11 AARON D. FORD Attorney General 12 By: /s/ Samuel L. Pezone, Jr. 13 SAMUEL L. PEZONE, JR. (Bar No. 15978) 1 Deputy Attorney General DOUGLAS R. RANDS (Bar No. 3572) 15 Senior Deputy Attorney General 16 Attorneys for Defendant 17 18 19 IT |S SO ORDERED. 20 DATED: October 9, 2024. 21 ( 22 Craig S. Denney United States Magistrate Judge 23 24 25 26 27 28
Document Info
Docket Number: 3:21-cv-00308
Filed Date: 10/9/2024
Precedential Status: Precedential
Modified Date: 11/2/2024