Opinion
3:22-cv-00443-LRH-CSD
02-09-2023
Holland & Hart LLP Timothy A. Lukas, Esq. Joshua M. Halen, Esq. Attorney for Plaintiff Kaempfer Crowell Richard G. Campbell, Jr., Esq. Attorney for Defendant Carmen Ferch as Trustee of the Carmen Ferch Trust Jason M. Frierson United States Attorney Troy K. Flake Assistant United States Attorney Attorney for the United States
Holland & Hart LLP Timothy A. Lukas, Esq. Joshua M. Halen, Esq. Attorney for Plaintiff
Kaempfer Crowell Richard G. Campbell, Jr., Esq. Attorney for Defendant Carmen Ferch as Trustee of the Carmen Ferch Trust
Jason M. Frierson United States Attorney
Troy K. Flake Assistant United States Attorney Attorney for the United States
STIPULATION TO EXTEND THE UNITED STATES' DEADLINE TO ANSWER
(SECOND REQUEST)
Pursuant to Local Rule IA 6-1, the parties stipulate and request that Defendants shall have a 30-day extension of time to file an answer or otherwise respond to Plaintiff's Complaint (ECF No. 1). This is the Parties' second request for extension.
The parties have worked diligently to verify important facts, discuss this matter with interested parties, and determine whether they can resolve this matter without litigation. They have circulated a draft stipulation that will resolve this matter which is being considered by the various parties. The parties agree that a 30-day extension of the answer deadline is appropriate under the circumstances. This stipulation is filed in good faith and not for the purpose of delay.
WHEREFORE, the parties respectfully requests that this stipulation be granted and that the deadline to respond to the complaint be extended through and including March 10, 2023.
IT IS SO ORDERED.