Opinion
2:23-cv-00293-APG-VCF
04-28-2023
KAZEROUNI LAW GROUP, APC GUSTAVO PONCE, ESQ. MONA AMINI, ESQ. Attorneys for Plaintiff
KAZEROUNI LAW GROUP, APC GUSTAVO PONCE, ESQ. MONA AMINI, ESQ. Attorneys for Plaintiff
REQUEST TO EXTEND TIME FOR DEFENDANT TRANS UNION, LLC TO ANSWER THE INITIAL COMPLAINT (SECOND REQUEST)
Cam Ferenbach United States Magistrate Judge
Plaintiff Jennafer Aycock (“Plaintiff”) hereby files this second unopposed Request for Extension of Time for Defendant Trans Union, LLC (“TransUnion”) to Answer the initial complaint, and in support states as follows:
1. On February 24, 2023, Plaintiff filed the present lawsuit (Dkt. No. 1).
2. TransUnion was served with the Complaint on March 9, 2023.
3. TransUnion's responsive pleading is due on April 30, 2023.
4. Plaintiff and TransUnion are actively engaged in case-resolution negotiations.
5. Plaintiff does not oppose an extension of TransUnion's time to Answer the Complaint so that the parties may devote their energies to resolving this matter. This request is filed consistent with an agreement from Trans Union requesting the Court for an extension of time to file its responsive pleading for 30 days, to May 30, 2023.
6. This request for an extension of time is not for delay.
7. This is TransUnion's first extension of time and the requested extension does not prejudice the parties.
8. For the foregoing reasons, Plaintiff requests that the Court issue an order extending the date on which TransUnion must answer or otherwise respond to Plaintiff's Complaint to May 30, 2023.
IT IS SO ORDERED.