District Court, D. Nevada, 2019

Friedman v. United States of America

Friedman v. United States of America
District Court, D. Nevada · Decided October 3, 2019
Friedman v. United States of America

Trial Court Opinion

LISA A. RASMUSSEN, ESQ.

Nevada Bar No. 7491 LAW OFFICE OF LISA RASMUSSEN, P.C. 601 South 10" Street, Suite #100 3|| Las Vegas, NV 89101 Tel. (702) 471-1436 411 Fax. (702) 489-6619 Email: [email protected] || MELANIE A. HILL, Esq.

Nevada Bar No. 8796 MELANIE HILL LAW PLLC S. 7™ Street, Suite A Las Vegas, NV 89101 Tel. (702) 362-8500 Fax. (702) 362-8505 Email: [email protected] || Attorneys for Plaintiff Scott Friedman 13 UNITED STATES DISTRICT COURT 14 DISTRICT OF NEVADA || SCOTT FRIEDMAN, Case No. 2:18-CV-000857-JCM-VCF 17 Plaintiff, STIPULATION TO EXTEND 18 EADLINE FOR RESPONSE TO 19 V. OTION TO DISMISS [ECF No. 198] || UNITED STATES OF AMERICA et al., (First Request) 21 Defendants.

25 Counsel for Plaintiff, Lisa Rasmussen of Law Office of Lisa Rasmussen, P.C., an || counsel for Defendant Tali Arik, Jesse Sbaih, respectfully submit the following stipulation | extend the deadline to file a Response to Defendant Arik’s Motion to Dismiss Amende Complaint [ECF 198] by one day, until October 3, 2019.

The Stipulation is being filed has time to completely and adequately brief the □□□□ brought up by Defendant Arik. Plaintiff's counsel is currently conducting mitigatic interviews for three separate capital or non-capital murder cases, alongside an out-of-tov psychological expert whose travel plans to Las Vegas were set prior to the filing of tt 6|| Motion to Dismiss. Thus, an additional day is necessary to complete the Respons 7|| Defendant Arik’s counsel is amenable to this extension and has agreed to stipulate to th || same. This request and stipulation is made in good faith and not for the purpose of prejudic or delay.

10 IT IS HEREBY STIPULATED AND AGREED between the parties that tt 11! deadline for the Response to the Motion to Dismiss be extended by one day, to October | 121 2019.

13 DATED this 2™ day of October, 2019.

LAW OFFICE OF LISA RASMUSSEN, P.C. SBAIH & ASSOCIATES 16 By: /s/ Lisa A. Rasmussen By: /s/ Jesse M. Sbaih LISA A. RASMUSSEN JESSE M. SBAIH 17 Nevada Bar No. 7491 Nevada Bar No. 7898 18 Attorney for Plaintiff Scott Friedman Attorney for Defendant Tali Arik 23 IT IS SO ORDERED.

24 Dated ‘October 3, 2019.

25 this ©. Malan 26 Fhe Honorable James ©. Mahan 27 United States District Judge

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