Opinion
Defendants. 2:23-cv-00928-KJM-CKD
07-31-2023
JOSEPH, COHEN & DEL VECCHIO, PC JONATHAN M. COHEN CHANCELLOR W. TSENG Attorneys for Defendant SCHOOLSFIRST FEDERAL CREDIT UNION. MCCARTHY LAW PLC GARRETT FORRESTER CHARITY Attorneys for Plaintiff SEUNG LEE.
JOSEPH, COHEN & DEL VECCHIO, PC JONATHAN M. COHEN CHANCELLOR W. TSENG Attorneys for Defendant SCHOOLSFIRST FEDERAL CREDIT UNION.
MCCARTHY LAW PLC GARRETT FORRESTER CHARITY Attorneys for Plaintiff SEUNG LEE.
JOINT MOTION TO EXTEND TIME TO RESPOND TO COMPLAINT
Plaintiff Seung Lee (“Plaintiff”) and Defendant SCHOOLSFIRST FEDERAL CREDIT UNION (“Defendant”), hereby stipulate as follows:
1. Plaintiff served Defendant on June 1, 2023 via waiver.
2. Defendant's initial deadline to respond to the Complaint is July 31, 2023.
3. Plaintiff and Defendant agree to extend the time 30 days for Defendant to respond to the Complaint up to and including August 30, 2023, so that Defendant will have additional time to investigate this matter and the parties can explore the possibility of settlement.
This change in response deadline will not alter the date of any event or any deadline already fixed by Court order, local rules, or the Federal Rules of Civil Procedure.
SIGNATURE CERTIFICATION
I hereby certify that all other signatories listed, on whose behalf this filing is submitted, concur with the contents of this filing, and have authorized the filing.
ORDER ON JOINT MOTION TO EXTEND TIME TO RESPOND TO COMPLAINT
Good cause appearing, the joint motion for an extension of time for Defendant SchoolsFirst Federal Credit Union to respond to the complaint is GRANTED. SchoolsFirst Federal Credit Union shall respond to the complaint on or before August 30, 2023.
It is SO ORDERED.