Opinion
2:22-cv-01394-JHC
02-10-2023
NICHOLAS W. BROWN United States Attorney ERIN K. HOAR, CA No. 311332 Assistant United States Attorney Attorney for Defendants WILLIAMS, KASTER & GIBBS PLLC BETHANY N. NOLAN, WSBA No. 55788 SUMEER SINGLA, WSBA No. 32852 L.A. LAW & ASSOCIATES LAWAND ANDERSON, WSBA No. 49012 Attorneys for Plaintiff
Noted on Motion Calendar: February 10, 2023
NICHOLAS W. BROWN United States Attorney ERIN K. HOAR, CA No. 311332 Assistant United States Attorney Attorney for Defendants
WILLIAMS, KASTER & GIBBS PLLC BETHANY N. NOLAN, WSBA No. 55788 SUMEER SINGLA, WSBA No. 32852 L.A. LAW & ASSOCIATES LAWAND ANDERSON, WSBA No. 49012 Attorneys for Plaintiff
STIPULATION AND ORDER TO EXTEND DEADLINE TO RESPOND TO AMENDED COMPLAINT
JOHN H. CHUN United States District Judge
JOINT STIPULATION
COME now the parties hereto, by and through their respective counsel of record, and hereby stipulate as follows:
1. Plaintiff filed her initial complaint on September 29, 2022 (Dkt. 1);
2. The United States Attorney's Office was served on November 22, 2022;
3. Based on this date of service, Defendant's responsive pleading was due January 23, 2023;
4. The parties stipulated (and the Court granted) a one week extension of time to respond to the initial complaint, as the parties were actively conferring regarding untimely claims set forth in the initial complaint. Dkts. 19-20 and 23.
5. Plaintiff filed an amended complaint on January 27, 2023. Dkt. 26.
6. Defendant's Answer is due February 10, 2023.
7. However, the parties are actively conferring regarding subject matter jurisdiction issues that may plague the amended complaint and require additional time to reach agreements on the dismissal of certain claim(s).
8. As such, the parties stipulate and agree to extend Defendant's deadline to respond to the amended complaint by one week, to February 17, 2023.
SO STIPULATED.
ORDER
IT IS SO ORDERED.