Opinion
2:23-cv-01402-ART-DJA
10-12-2023
AMAR LAW GROUP, PLLC ROBERT B. KATZ, ESQ. Attorneys for Robert Adams. BROWNSTEIN HYATT FARBER SCHRECK, LLP PATRICK J. REILLY, ESQ. Attorneys for BMW of North America LLC.
AMAR LAW GROUP, PLLC ROBERT B. KATZ, ESQ. Attorneys for Robert Adams.
BROWNSTEIN HYATT FARBER SCHRECK, LLP PATRICK J. REILLY, ESQ. Attorneys for BMW of North America LLC.
STIPULATION AND ORDER TO EXTEND THE DEADLINE TO RESPOND TO PLAINTIFF'S COMPLAINT (FIRST REQUEST)
DANIEL J. ALBREGTS UNITED STATES MAGISTRATE JUDGE.
STIPULATION
Pursuant to Local Rules IA 6-1, IA 6-2, and LR 7-1, Defendant BMW of North America, LLC (“BMW”) and Plaintiff Robert Adams (“Plaintiff”) (together the “Parties”) hereby stipulate and agree as follows:
1. Plaintiff commenced this action on September 8, 2023. ECF No. 1.
2. The Parties have expressed a mutual desire to engage in good faith settlement discussions.
3. The Parties wish to extend the deadline for BMW to respond to the Complaint.
4. BMW shall have up to and including October 24, 2023, to answer or otherwise plead in response to the complaint.
5. This is the first request for an extension of any deadline in this case. The requested extension is not intended to cause any delay or to prejudice any party.
ORDER
IT IS SO ORDERED.