Opinion
2:22-cv-1873
12-06-2022
WILSON ELSER MOSKOWITZ EDELMAN & DICKER, LLPJORGE A. RAMIREZ, ESQ. Nevada Bar No. 6787, JONATHAN C. PATTILLO, ESQ. Nevada Bar No. 13929 Attorneys for Defendant, MEDICAL DATA SYSTEMS, INC. CONTEMPORARY LEGAL SOLUTIONS ROBERT M. TZALL, ESQ. Nevada Bar No. 13412 Attorney for Plaintiff(s)
WILSON ELSER MOSKOWITZ EDELMAN & DICKER, LLPJORGE A. RAMIREZ, ESQ. Nevada Bar No. 6787, JONATHAN C. PATTILLO, ESQ. Nevada Bar No. 13929 Attorneys for Defendant, MEDICAL DATA SYSTEMS, INC.
CONTEMPORARY LEGAL SOLUTIONS ROBERT M. TZALL, ESQ. Nevada Bar No. 13412 Attorney for Plaintiff(s)
STIPULATION TO EXTEND DEFENDANT'S TIME TO RESPOND TO PLAINTIFFS' COMPLAINT
COMES NOW, Plaintiff Rachel Bergida, as parent and legal guardian of J.B., a minor, individually and on behalf of all other similarly situated, by and through her attorney of record, Robert M. Tzall, Esq. of the law firm of Contemporary Legal Solutions and Defendant Medical Data Systems, Inc., by and through its counsel, Jorge A. Ramirez, Esq. and Jonathan Pattillo, Esq. of the law firm of Wilson Elser Moskowitz Edehnan & Dicker, LLP and hereby stipulate as follows:
1. The parties wish for additional time to explore settlement possibilities and that the deadline for Medical Data Systems to answer or otherwise respond to Plaintiffs' Complaint (ECF No. 1) be extended to December 20, 2022.
This request is made in good faith and not for the purpose of delay.
IT IS SO ORDERED.