Opinion
2:23-cv-01341-DMC
11-27-2023
JESSE S. KAPLAN Attorney for Plaintiff PHILLIP A. TALBERT United States Attorney MATHEW W. PILE Associate General Counsel Social Security Administration ERIN A. JURRENS Special Assistant U.S. Attorney Attorneys for Defendant
JESSE S. KAPLAN Attorney for Plaintiff
PHILLIP A. TALBERT United States Attorney MATHEW W. PILE Associate General Counsel Social Security Administration
ERIN A. JURRENS Special Assistant U.S. Attorney Attorneys for Defendant
STIPULATION AND ORDER FOR AN EXTENSION OF TIME
DENNIS M. COTA, UNITED STATES MAGISTRATE JUDGE
Pending the Court's approval, IT IS HEREBY STIPULATED, by and between the parties, through their respective counsel of record, that the time for Defendant to respond to Plaintiff's Motion for Summary Judgment be extended sixty (60) days from November 27, 2023, up to and including January 29, 2024. This is the Defendant's first request for an extension.
Defendant requests this extension in order to further consider the nearly 800 page administrative record in light of the issues raised in Plaintiff's motion. The undersigned has a number of competing deadlines in cases pending in this district and other districts. Additionally, the undersigned will be out of the office from December 18, 2023, through January 15, 2023.
The parties further stipulate that the Court's Scheduling Order shall be modified accordingly.
ORDER
Pursuant to the parties' stipulation, IT IS SO ORDERED that Defendant shall have an extension, up to and including January 29, 2024, to respond to Plaintiff's Motion for Summary Judgment.