Opinion
2:23-cv-01111-JAD-EJY
08-07-2023
MARQUIS AURBACH Brian R. Hardy, Esq. Harry L. Arnold, Esq. Attorneys for Defendants HUTCHINGS LAW GROUP Mark H. Hutchings, Esq. John B. Lanning, Esq. Attorney for Plaintiffs
MARQUIS AURBACH
Brian R. Hardy, Esq.
Harry L. Arnold, Esq.
Attorneys for Defendants
HUTCHINGS LAW GROUP
Mark H. Hutchings, Esq.
John B. Lanning, Esq.
Attorney for Plaintiffs
STIPULATION AND ORDER EXTENDING DEFENDANTS' TIME TO FILE A RESPONSIVE PLEADING TO PLAINTIFFS' COMPLAINT
(FIRST REQUEST)
PLEASE TAKE NOTICE that the Parties, Plaintiffs DAVID BENGEL, PACIFIC GREEN ENERGY, LLC, APRICOT HOLDINGS, LLC, APRICOT ENERGY LLC, NEVADA SOLAR ENERGY, LLC, FLORIDA SOLAR ENERGY, LLC, TEXAS SOLAR SERVICES, LLC (“Plaintiffs”), by and through their counsel of record, Hutchings Law Group, and Defendants EDMUND COUTAN, AURORA CONSULTING, LLC, KUMQUAT SOLAR LLC, KUMQUAT ENERGY LLC, KUMQUAT HOLDINGS LLC (“Defendants”), by and through their counsel of record, the law firm of Marquis Aurbach, hereby stipulate and agree as follows:
1. On July 17, 2023 Plaintiffs filed their Complaint.
2. Plaintiffs effectuated service upon Defendants on July 20, 2023.
3. An answer or other responsive pleading is currently due on or before August 10, 2023.
4. Plaintiffs have agreed to extend the deadline for Defendants to file a responsive pleading to the Complaint up to and including August 31, 2023.
5. This is the first stipulation of time for Defendants to respond to Plaintiffs' Complaint.
IT IS SO STIPULATED.
ORDER
IT IS SO ORDERED.