`Case 2:24-cv-00090-ART-MDC Document 15 Filed 05/31/24 Page 1of3
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`DICKINSON WRIGHT PLLC
`John L. Krieger, Esq., Nevada Bar No. 6023
`Kevin D. Everage, Esq., Nevada Bar No. 15913
`Brady A. Bathke, Esq., Nevada Bar No. 16191
`3883 Howard Hughes Parkway, Suite 800
`Las Vegas, Nevada 89169
`Telephone (702) 550-4400
`Facsimile (844) 670-6009
`Email: jkrieger@dickinson-wright.com
`Email: keverage@dickinson-wright.com
`Email: bbathke@dickinson-wright.com
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`AMERICAN CIVIL LIBERTIES UNION OF NEVADA
`Christopher Peterson, Esq., Nevada Bar No. 13932
`Jacob Smith, Esq., Nevada Bar No. 16324
`4362 W. Cheyenne Ave.
`North Las Vegas, Nevada 89032
`Telephone (702) 366-1226
`Email: peterson@aclunv.org
`Email: jsmith@aclunv.org
`
`NATIONAL ASSOCIATION OF THE DEAF
`Brittany Shrader (Admitted pro hac vice)
`8630 Fenton Street, Suite 820
`Silver Spring, MD 20910
`Phone: (301) 587-2907
`brittany.shrader@nad.org
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`Attorneysfor Plaintiff
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`UNITED STATES DISTRICT COURT
`
`DISTRICT OF NEVADA
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`CHRISTOPHER JONES,
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`Case No: 2:24-cv-00090-ART-MDC
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`vs.
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`Plaintiff,
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`JOINT STIPULATION TO EXTEND
`ALL DEADLINES
`(FIRST REQUEST)
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`LAS VEGAS METROPOLITAN POLICE
`DEPARTMENT,a municipal corporation,
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`SPECIAL SCHEDULING REVIEW
`REQUESTED
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`Defendant.
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`
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`28
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`Plaintiff Christopher Jones (“Plaintiff’ or “Jones”) and Defendant Las Vegas Metropolitan
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`
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`Case 2:24-cv-00090-ART-MDC Document 15 Filed 05/31/24 Page 2 of 3
`Case 2:24-cv-00090-ART-MDC Document 15 Filed 05/31/24 Page 2 of 3
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`Police Department (“Defendant” or “LVMPD”) (collectively the “Parties”), by and through their
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`respective counsel of record, hereby respectfully submit this Joint Stipulation to Extend all
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`deadlines by an additional sixty (60) days. This is the first request to extend deadlines in this
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`matter. The Parties have agreed to the extension for the reasons set forth below:
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`PROCEDURAL BACKGROUND
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`Plaintiff filed his Complaint in this case on January 11, 2024. (ECF No. 1.) LVMPDfiled
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`their Answer on February 12, 2024. (ECF No.8.)
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`On March15, 2024, the Court entered an order granting the Discovery Plan and Scheduling
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`Order. (ECF No. 12). Since that time, the parties exchangedInitial Disclosures.
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`GOOD CAUSE TO EXTEND DISCOVERY
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`Both parties are actively engaging in discovery and will continue to do so to ensure that
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`relevant information is obtained and exchanged in a timely manner.
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`The Parties have stipulated and agreed to extend all deadlines by an additional sixty (60)
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`daysasset forth below.In addition to following up on documentation produced,Plaintiffs primary
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`counsel, Christopher Peterson, is currently on parental leave until mid-July 2024, and seeks
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`accommodation for his absence. This extension will ensure that the case continues to progress
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`smoothly, and to allow both sides to address issues that may arise between them.Forthese reasons,
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`this stipulation is made for good cause and not for any improper motive or to cause unnecessary
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`delay.
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`The Parties hereby stipulate and agree to the following proposed deadlinesin this case:
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`Event
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`Existing Deadline
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`Proposed New Deadline
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`Last day to Amend Pleadings|May 28, 2024 July 29, 2024
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`Expert Disclosures (for party|June 27, 2024 August 26, 2024
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`24
`with the burden ofproofon the
`issue)
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`Rebuttal Expert Disclosures
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`July 29, 2024
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`September 27, 2024
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`Discovery Cutoff
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`August 26, 2024
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`October 25, 2024
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`Dispositive Motion Deadline|September 25, 2024 November25, 2024
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`Case 2:24-cv-00090-ART-MDC Document 15 Filed 05/31/24 Page 3 of 3
`Case 2:24-cv-00090-ART-MDC Document 15 Filed 05/31/24 Page 3 of 3
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`Joint Proposed Pretrial Order|October 25, 2024 December24, 2024
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`SoOoNIDnaA&}_WwYN
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`If dispositive motions are filed, the deadline for filing the joint pretrial order will be
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`suspended until 30 days after decision on the dispositive motions or further court order.
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`DATEDthis 28" day of May, 2024.
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`DATEDthis 28" day of May, 2024.
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`DICKINSON WRIGHT PLLC
`
`KAEMPFER CROWELL
`
`/s/ John L. Krieger
`John L. Krieger, Esq.
`Kevin D. Everage, Esq.
`Brady A. Bathke, Esq.
`3883 Howard Hughes Parkway, Suite 800
`Las Vegas, Nevada 89169-0965
`
`/s/ Lyssa A. Anderson
`Lyssa S. Anderson, Esq.
`Kristopher Kalkowski, Esq.
`1980 Festival Plaza Drive, Suite 650
`Las Vegas, Nevada 89135
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`Attorneysfor Defendant Las Vegas Metropolitan
`AMERICANCIVIL LIBERTIES UNION OF Police Department.
`NEVADA
`Christopher Peterson, Esq.
`Jacob Smith, Esq.
`4362 W. Cheyenne Avenue
`North Las Vegas, Nevada 89032
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`NATIONAL ASSOCIATION OF THE DEAF
`Brittany Shrader, Esq.
`(Admitted Pro hac vice)
`8630 Fenton Street, Suite 820
`Silver Spring, Maryland 20910
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`Attorneys for Plaintiff Christopher Jones
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`DICKINSON WRIGHT
`ATTORNEYS
`aT LAW
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`IT IS SO ORDEREP
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`United States Magistrate
`DATED: 5/31/2024
`
`

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