The Court determined that, in this instance, an attorney should be suspended for four years after said attorney violated RPC 8.4(b). The Court further held that SRC 102 does not permit the Court to impose financial sanctions on an attorney when the Court is already suspending said attorney.
Evans, Ronald, "In re Discipline of Reade, 133 Nev. Adv. Op. 87 (Nov. 16, 2017)" (2017). Nevada Supreme Court Summaries. 1101.