Opinion
7:24-cv-00130
12-09-2024
SHOOK, HARDY & BACON L.L.P. Caroline M, Gieser Jason M. Ferguson LAW OFFICE OF JASON FERGUSON, LLC David B. Anderson QnoDri LAW OFFICE OF DAVID B. ANDERSON, P.C.
SHOOK, HARDY & BACON L.L.P.
Caroline M, Gieser
Jason M. Ferguson
LAW OFFICE OF JASON FERGUSON, LLC
David B. Anderson QnoDri
LAW OFFICE OF DAVID B. ANDERSON, P.C.
STIPULATION TO EXTEND DEFENDANTS' TIME TO RESPOND
W. LOUIS SANDS, SR. JUDGE
Pursuant to M.D. Ga. Local Rule 6.1, all parties to the above-captioned action, by and through their respective counsel, stipulate as follows:
WHEREAS, on November 27, 2024, defendant ADT Solar LLC removed this action to the above-captioned Court;
WHEREAS, none of the defendants has yet responded to the Complaint filed in this action;
WHEREAS, pursuant to Fed.R.Civ.P. 81(c)(2)(C), the current deadline for each of the Defendants to respond to the Complaint is December 4, 2024;
The Parties HEREBY STIPULATE, by and through their respective counsel to extend the time for each of the Defendants to file its respective response to Plaintiff s Complaint by 30 days to January 3, 2025.
SO STIPULATED:
SO ORDERED.