Hardie v. Lackey
Trial Court Opinion
1] * BRENT L. RYMAN, ESQ. (#008648) 2|| PAUL M. BERTONE, ESQ. (#004533) ERICKSON, THORPE & SWAINSTON, LTD. || 1885 South Arlington Ave., Suite 205 Reno, Nevada 89509 || (775) 786-3930 Attorneys for Defendants White Pine County || Sheriff's Office and Officer Lackey 10 IN THE UNITED STATES DISTRICT COURT 11 FOR THE DISTRICT OF NEVADA 14) SELENA KAY HARDIE, Case No.: 3:25-cv-00248-CSD 15 Plaintiff, STIPULATION AND ORDER TO ]] vs. STAY DISCOVERY PENDING DISPOSITION 17} WHITE PINE COUNTY SHERIFF’S OF MOTION TO OFFICE, a Political Subdivision of the State DISMISS (ECF No. 15) of Nevada; CORRECTIONS OFFICER (First Request) LACKEY and DOE CORRECTIONS OFFICERS I-X, Individually and in their official capacities; DOES I-X, inclusive; and || ROES I-X, inclusive, 21 Defendants. / FF 23 COMES NOW, Defendants, WHITE PINE COUNTY SHERIFF’S OFFICE, and || CORRECTIONS OFFICER LACKEY (the “White Pine County Defendants”), by and || through their Attorneys of Record, ERICKSON, THORPE & SWAINSTON, LTD., || BRENT L.RYMAN, ESQ., and PAUL M. BERTONE, ESQ., and Plaintiff, SELENA KAY || HARDIE, by and through her Attorneys of Record, JUSTICE LAW CENTER, and BRET O.
28 || WHIPPLE, ESQ., and hereby stipulate and agree that discovery and all related deadlines in KSON, THORPE& LTD. || this litigation shall be stayed pending disposition of Defendants’ Motion to || Dismiss (ECF No. 15), which is fully briefed and before the Court for decision. Based on || the arguments presented with Defendants’ Motion (ECF No. 15) and Plaintiff’s Opposition 4|| Briefing (ECF Nos. 21 and 23), the parties believe good cause exists for this request.
5 |) Discovery has not yet begun in this case, and the “court has wide discretion in controlling || discovery.” Jeff D. v. Otter, 643 F.3d 278, 289 (9th Cir. 2011) (quoting, Little v. City of || Seattle, 863 F.2d 681, 685 (9th Cir. 1988)).
8 The parties submit that this stipulation made pursuant to LR IA 6-1 and 6-2 and || LR 26-3, is supported by good cause, and is not made for the purposes of undue delay.
10} Counsel for the parties has met to discuss all of the issues directed by the Court’s Order || Setting Case Management Conference (ECF No. 17), and will address this matter both at that || Case Management Conference on September 12, 2025, and in their Joint Case Management || Conference Report to be filed next week. In the meantime, the parties wished to have this stipulation on record for the Court’s consideration.
15 DATED this 6" day of September, 2025.
16 ERICKSON, THORPE & SWAINSTON, LTD. 18 /s/ Brent Ryman BRENT L. RYMAN, ESQ. (#008648) 19 ERICKSON, THORPE & SWAINSTON, LTD. 1885 South Arlington Ave., Suite 205 20 Reno, Nevada 89509 (775) 786-3930 21 Attorneys for the White Pine County Defendants | /// If /// If /// | /// | /// | /// | /// LTD. 1 DATED this 6" day of September, 2025.
2 JUSTICE LAW CENTER 4 ____/s/ Bret Whipple BRET O. WHIPPLE, ESQ. (#006168) 5 JUSTICE LAW CENTER 1100 S. Tenth St. 6 Las Vegas, NV 89104 (702) 731-0000 7 Attorneys for Plaintiff 8 The Case Management Conference set for Friday, September 12, 2025, at 9:00 a.m. is 9 VACATED.
10 IT IS SO ORDERED.
DATED: September 5, 2025.
14 CY _S 15 UNITED STATES M4@1STRATE JUDGE KSON, THORPE & LTD.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.