Opinion
2:23-cv-01155
08-16-2023
KRAVITZ SCHNITZER JOHNSON & WATSON, CHTD. MARTIN J. KRAVITZ, ESQ. MICHAEL R. ESPOSITO, ESQ. Attorneys for Defendant Kohl's Inc. FREEDOM LAW FIRM, LLC GEORGE HAINES, ESQ. GERARDO AVALOS, ESQ. Attorneys for Plaintiff Kay Aguero.
KRAVITZ SCHNITZER JOHNSON & WATSON, CHTD. MARTIN J. KRAVITZ, ESQ. MICHAEL R. ESPOSITO, ESQ. Attorneys for Defendant Kohl's Inc.
FREEDOM LAW FIRM, LLC GEORGE HAINES, ESQ. GERARDO AVALOS, ESQ. Attorneys for Plaintiff Kay Aguero.
STIPULATION AND ORDER TO EXTEND TIME TO FILE ANSWER OR OTHER RESPONSE
DANIEL J. ALBREGTS UNITED STATES MAGISTRATE JUDGE.
Plaintiff, Kay Aguero, (hereinafter “Plaintiff”), by and through its attorneys of record, the law firm FREEDOM LAW FIRM, and KOHL'S INC. (hereinafter “Defendant”), by and through its attorneys of record, the law firm KRAVITZ SCHNITZER JOHNSON & WATSON, CHTD., hereby stipulate and agree as follows:
1. Plaintiff filed her Complaint for Damages Pursuant to the Fair Credit Reporting Act on July 21, 2023;
2. Defendant's deadline to respond, move or otherwise plead to the Complaint is August 16, 2023;
3. Plaintiff and Defendant have agreed to continue Defendant's responsive deadline until September 15, 2023;
4. This continuance will allow Defendant to marshal and review its records pertaining to the allegations in the Complaint, and allow the Parties time to meaningfully discuss the merits of the same.
5. This is the first stipulation between the Plaintiff and Defendant to extend the time for Defendant to respond, move, or otherwise plead to the Complaint and it is not being entered into for purposes of delay.
ORDER
IT IS SO ORDERED.