Opinion
2:23-cv-01016-RFB-NJK
10-13-2023
GREENE INFUSO, LLP MICHAEL V. INFUSO, ESQ. Attorneys for Defendant New Castle, LLC. Christensen James & Mart Kevin B. Archibald, Esq. Attorney for Plaintiffs. Gordon Rees Scully Mansukhani, LLP Joshua Y. Ang, Esq. Attorneys for Defendant Buca (Ex), LLC.
GREENE INFUSO, LLP MICHAEL V. INFUSO, ESQ. Attorneys for Defendant New Castle, LLC.
Christensen James & Mart Kevin B. Archibald, Esq. Attorney for Plaintiffs.
Gordon Rees Scully Mansukhani, LLP Joshua Y. Ang, Esq. Attorneys for Defendant Buca (Ex), LLC.
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS TO RESPOND TO PLAINTIFFS' MOTION TO STRIKE DEFENSES ASSERTED BY DEFENDANTS BUCA (EX), LLC AND NEW CASTLE, LLC (FIRST REQUEST)
IT IS HEREBY STIPULATED AND AGREED by and between Plaintiffs, Board of Trustees of UNITE HERE Health, et al. (“Plaintiffs”), New Castle, LLC (“New Castle”), and Buca (EX), LLC (“Buca”), by and through their respective undersigned counsel of record, as follows:
WHEREAS Plaintiffs filed a Motion to Strike Defenses Asserted by Defendants Buca and New Castle (“Motion”) on September 29, 2023 [ECF No. 20];
WHEREAS Defendants New Castle's and Buca's deadline to file a response to Plaintiffs' Motion is currently October 13, 2023;
WHEREAS, Plaintiffs have agreed that Defendants New Castle and Buca may have up through and including October 27, 2023, in which to respond to Plaintiffs' Motion;
WHEREAS, there are no other deadlines affected by this Stipulation that are presently known to the parties; and
WHEREAS, the parties represent that this request is not for any improper purpose or to delay;
THEREFORE, Plaintiffs and Defendants New Castle and Buca hereby request an order that Defendants New Castle and Buca have up through and including October 27, 2023, in which to file their responses to Plaintiffs' Motion.
IT IS SO ORDERED.