Opinion
2:24-cv-00225-JHC
04-18-2024
TESSA M. GORMAN United States Attorney KARR, TUTTLE, CAMPBELL KRIPA UPADHYAY, WSBA #40063 MICHELLE R. LAMBERT, NYS #4666657 Seattle, Washington 98104 Assistant United States Attorney Attorney for Plaintiff Attorneys for Defendant I certify that this memorandum contains 178 words, in compliance with the Local Civil Rules.
TESSA M. GORMAN United States Attorney
KARR, TUTTLE, CAMPBELL KRIPA UPADHYAY, WSBA #40063
MICHELLE R. LAMBERT, NYS #4666657 Seattle, Washington 98104 Assistant United States Attorney Attorney for Plaintiff Attorneys for Defendant I certify that this memorandum contains 178 words, in compliance with the Local Civil Rules.
STIPULATED MOTION AND ORDER TO CONTINUE DEADLINE
JOHN H. CHUN, UNITED STATES DISTRICT JUDGE
The parties, through their respective counsel, pursuant to Federal Rule of Civil Procedure 6 and Local Rules 10(g) and 16, hereby jointly stipulate and move for a 60-day extension of the deadline for Defendant to respond to the Complaint. The current deadline is April 26, 2024. Good cause exists to extend this deadline to June 25, 2024.
A court may modify a deadline for good cause. Fed.R.Civ.P. 6(b). Continuing pretrial and trial dates is within the discretion of the trial judge. See King v. State of California, 784 F.2d 910, 912 (9th Cir. 1986).
U.S. Citizenship and Immigration Services is in the process of procuring a copy of resolution that would not require further judicial intervention. Once this petition is reviewed by an officer, the parties will be able to discuss how to move forward with this litigation.
Accordingly, the parties jointly stipulate and request that the Court extend Defendant's deadline to respond to the Complaint to June 25, 2024.
ORDER
It is so ORDERED. Defendant's deadline to respond to the Complaint is extended to June 25, 2024.