Opinion
2:22-cv-01298-APG-EJY
10-18-2022
DUBOWSKY LAW OFFICE, CHTD. PETER DUBOWSKY, ESQ ATTORNEY FOR PLAINTIFF KEATING LAW GROUP BRYCE B. BUCKWALTER, ESQ. ATTORNEY FOR DEFENDANT
DUBOWSKY LAW OFFICE, CHTD. PETER DUBOWSKY, ESQ ATTORNEY FOR PLAINTIFF
KEATING LAW GROUP BRYCE B. BUCKWALTER, ESQ. ATTORNEY FOR DEFENDANT
STIPULATION AND ORDER FOR EXTENSION OF TIME TO FILE PLAINTIFFS' REPLY TO DEFENDANT 702 CARRIERS, LLC'S OPPOSITION TO PLAINTIFF'S MOTION FOR SUMMARY JUDGMENT (FIRST REQUEST)
This is the first stipulation for extension of time for Plaintiff to file a Reply to the Defendant 702 Carriers, LLC's Opposition (ECF 13) to Plaintiff's Motion for Summary Judgment (ECF 12). The Plaintiff's Motion for Summary Judgment (ECF 12) was filed on September 14, 2022. The Opposition to Motion for Summary Judgment (ECF 13) was filed on October 5, 2022. The due date for the reply brief is currently October 19, 2022.
The Plaintiff requires this extension for the following reasons: The several Jewish High Holy Days, which Plaintiff's counsel strictly observes, occur throughout October and do not conclude until the night of October 18, 2022. The Plaintiff is out of the office for the Holidays and does not engage in any work. Following that, the Plaintiff is scheduled for travel to Europe for approximately two weeks and returning early November.
The parties stipulate for up to and including November 28, 2022 to file its Reply.
This Stipulation is submitted in compliance with LR IA 6-1(a) in good faith, is not interposed for purposes of delay, and will not prejudice the litigants.
ORDER
Based upon the Stipulation of the parties hereto, and for good cause, IT IS HEREBYB ORDERED, that the Stipulation to Extend hereinabove is hereby Granted for the Plaintiff to have up to and including November 28, 2022 to file its Reply brief.