Workman v. State of Nevada ex rel Board of Regents of the Nevada System of Higher Education ( 2024 )


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  • 1 DEBRA L. PIERUSCHKA, ESQ. General Counsel 2 Nevada Bar No. 10185 KARISSA D. NEFF, ESQ. 3 Associate General Counsel 4 Nevada Bar No. 9133 COLLEGE OF SOUTHERN NEVADA 5 OFFICE OF GENERAL COUNSEL 6375 W. Charleston Blvd. (WCE310) 6 Las Vegas, Nevada 89146 7 Telephone: (702) 651-7325 debra.pieruschka@csn.edu 8 karissa.neff@csn.edu 9 Attorneys for Defendant CSN 10 UNITED STATES DISTRICT COURT 11 DISTRICT OF NEVADA 12 SUZAN WORKMAN, 13 Case No. 2:24-cv-01133-APG-MDC 14 Plaintiff, vs. STIPULATION AND ORDER TO 15 EXTEND TIME FOR PLAINTIFF TO STATE OF NEVADA ex rel. BOARD OF FILE OPPOSITION TO DFEENDANT'S 16 REGENTS OF THE NEVADA SYSTEM OF MOTION TO DISMISS (FIRST HIGHER EDUCATION REQUEST) 17 Defendant. 18 19 Defendant State of Nevada ex rel. its Board of Regents of the Nevada System of Higher 20 Education ("Defendant") and Suzan Workman ("Plaintiff) (collectively the "Parties"), by and 21 through their counsel of record, stipulate as follows: 22 1. On or around June 27, 2024, Defendant filed its Motion to Dismiss [ECF No. 8]. 23 2. Plaintiff's Opposition to Defendant's Motion to dismiss is currently due on July 11, 24 2024 [ECF No. 8]. 25 3. The Parties have reached a tentative settlement that resolves this case and another 26 27 1 28 1 || action pending as Case No. A-23-866320-C in the Eighth Judicial District Court, Clark County 2 || (collectively the "Actions"). 3 4. The Parties desire to extend the time for Plaintiff to file an Opposition to Defendant’ 4 || Motion to Dismiss to enable the parties to finalize a settlement that resolves both Actions. ° 5. As such, the Parties stipulate and agree that Plaintiff shall have up to, and including © || August 15, 2024, to file her Opposition to Defendant's Motion to Dismiss, in the event the partie ’ || are unable to finalize the settlement resolving both Actions. 8 11DATED: July 10, 2024 Dated: July 10, 2024 10 11 || By: /s/ Richard Segerblom COLLEGE OF SOUTHERN NEVADA |] RICHARD SEGERBLOM Nevada Bar No. 1010 . 19 || 602 South 10% DEBRA L. PIERUSCHRA Las Vegas, NV 89101 General Counsel 14 |! Attorney for Plaintiff Nevada Bar No. 10185 rsegerblom@|vcoxmail.com evada war NO. 1s KARISSA D. NEFF 16 Associate General Counsel Nevada Bar No. 9133 17 OFFICE OF GENERAL COUNSEL 6375 W. Charleston Blvd. (WCE310) 18 Las Vegas, Nevada 89146 19 Telephone: (702) 651-7325 debra.pieruschka@csn.edu 20 karissa.neff@csn.edu Attorneys for Defendant CSN 22 ORDER 23 IT IS SO ORDERED. 25 Dated this 11th day of July, 2024. ——— UNITED STATES DISTRICT JUDGE 27 28

Document Info

Docket Number: 2:24-cv-01133

Filed Date: 7/11/2024

Precedential Status: Precedential

Modified Date: 11/2/2024