Opinion
2:22-CV-2104-RFB-VCF
04-19-2023
GIBSON LEXBURY LLP J.D. Lowry. STEVEN A. GIBSON, ESQ. JODI DONETTA LOWRY, ESQ. Attorneys for Plaintiff PIRKEYBARBER, PLLC CHRISTOPHER M. WEIMER, ESQ. Attorney for Defendant
GIBSON LEXBURY LLP J.D. Lowry. STEVEN A. GIBSON, ESQ. JODI DONETTA LOWRY, ESQ. Attorneys for Plaintiff
PIRKEYBARBER, PLLC CHRISTOPHER M. WEIMER, ESQ. Attorney for Defendant
STIPULATION AND [PROPOSED] ORDER TO CONTINUE HEARING ON DEFENDANT'S MOTION TO STAY DISCOVERY AND JOINT DISCOVERY PLAN AND SCHEDULE (SECOND REQUEST)
Plaintiff 1.4g Holdings, LLC (“Plaintiff” or “1.4g Holdings”), and Defendant Elite Fireworks, LLC (“Defendant” or “Elite), by and through their respective counsel of record, hereby stipulate and agree to continue the May 2, 2023 hearing on Defendant's Motion to Stay Discovery (ECF No. 16) and Joint Discovery Plan and Scheduling Order (ECF No. 19) (together, the “Pending Matters”) to May 5, 2023, due to the unavailability of Plaintiff's counsel on May 2, 2023.
This is the second request, and first stipulation, for continuation of the Pending Matters and is made in good faith and not in an attempt to delay proceedings.
IT IS HEREBY ORDERED that the hearing scheduled for May 2, 2023, is VACATED, and RESCHEDULED to 2:00 PM, May 5, 2023, in Courtroom 3C.
IT IS SO ORDERED: