Opinion
3:22-cv-00249-MMD-CLB
08-11-2023
Jerry M. Snyder Jerry Snyder Law Attorney for F.I.M. Corp, Inc. Need More Sheep Co., LLC YAMAN SALAHI, ESQ (pro hac vice) Counsel for Plaintiff and Putative Class
Jerry M. Snyder Jerry Snyder Law Attorney for F.I.M. Corp, Inc. Need More Sheep Co., LLC
YAMAN SALAHI, ESQ (pro hac vice) Counsel for Plaintiff and Putative Class
STIPULATION AND ORDER TO EXTEND BRIEFING SCHEDULE ON MOTION TO DISMISS FILED BY F.I.M. CORPORATION, NEED MORE SHEEP COMPANY, AND FAULKNER LAND AND LIVESTOCK
Plaintiff CIRILO UCHARIMA ALVARADO (“Plaintiff”), by and through his counsel of record, YAMAN SALAHI, ESQ. of EDELSON, P.C., and Defendants F.I.M. CORPORATION (“F.I.M.”), NEED MORE SHEEP COMPANY, LLC, (“Need More Sheep”), and FAULKNER LAND AND LIVESTOCK COMPANY, INC. (“Faulkner,” collective the “Moving Defendants”) by and through their counsel of record, JERRY M. SNYDER of JERRY SNYDER LAW, hereby stipulate, and request this Court extend Plaintiff's time to respond to the Motion to Dismiss filed by the Moving Defendants on August 10, 2023 (Doc. No. 96) from August 24, 2023 to September 12, 2023, and to likewise extend the Moving Defendants' time to file a reply to September 19, 2023. This stipulation does not affect any other deadlines that are currently in place, and does not affect any Defendants that are not a party to this stipulation. This extension is requested in order to accommodate the travel schedules of counsel for both Plaintiff and the Moving Defendants, as well as the Labor Day holiday.
This Stipulation was prepared by counsel for the Moving Defendants with the consent of Plaintiff and is made in good faith and not for purposes of delay.
ORDER
IT IS SO ORDERED