Opinion
C19-5337-BJR
12-14-2021
Kevin D. Anthony, individually, Plaintiff, v. United States of America, Defendant.
JAMES J. RAFFA, PLLC JAMES J. RAFFA, ATTORNEY FOR PLAINTIFF NICHOLAS W. BROWN UNITED STATES ATTORNEY, KRISTEN R. VOGEL, ASSISTANT UNITED STATES ATTORNEY ATTORNEY FOR THE UNITED STATES
JAMES J. RAFFA, PLLC JAMES J. RAFFA, ATTORNEY FOR PLAINTIFF
NICHOLAS W. BROWN UNITED STATES ATTORNEY, KRISTEN R. VOGEL, ASSISTANT UNITED STATES ATTORNEY ATTORNEY FOR THE UNITED STATES
STIPULATED MOTION AND ORDER FOR EXTENSION OF TIME TO SUBMIT PROPOSED FINDINGS OF FACT AND CONCLUSIONS OF LAW
BARBARA J. ROTHSTEIN UNITED STATES DISTRICT JUDGE
The Parties, by and through their undersigned counsel, jointly stipulate and respectfully move the Court for an extension of time to submit proposed findings of fact and conclusions of law, from the current deadline of December 20, 2021 until January 3, 2022.
In order to assist with the proposed findings of fact, the parties have requested the trial transcript and have been informed it will not be completed until approximately December 16, 2021. Furthermore, counsel for Defendant will be out of the country and without access to her work computer from December 11, 2021 until December 19, 2021. Counsel for Plaintiff also has scheduling conflicts over the holidays. 1
Therefore, the parties stipulate and agree that good cause exists for an Order extending the deadline from December 20, 2021 until January 3, 2022, and respectfully request an Order from the Court allowing this additional time.
DATED this 9th day of December, 2021.
SO STIPULATED AND RESPECTFULLY SUBMITTED. 2
ORDER
IT IS SO ORDERED. 3