Opinion
2:23-cv-00890-JLR
07-06-2023
B.P. & L.E.S., Plaintiffs, v. DREW BOSTOCK, et al., Defendants.
Christopher Strawn Matthew Adams, WSBA 28287 Christopher Strawn, WSBA No. 32243 Northwest Immigrant Rights Project Nickolas Bohl U.S. Attorney's Office
Christopher Strawn
Matthew Adams, WSBA 28287
Christopher Strawn, WSBA No. 32243
Northwest Immigrant Rights Project
Nickolas Bohl
U.S. Attorney's Office
STIPULATED MOTION [AND PROPOSED ORDER] TO EXTEND JOINT STATUS REPORT DEADLINES
THE HONORABLE JAMES L. ROBART, UNITED STATES DISTRICT JUDGE
Having timely concluded an initial FRCP 26(f) initial conference on July 5, 2023, the parties in this matter request a 60-day extension of deadlines in the Joint Status Report, Dkt. No. 7, in order to provide time to attempt to resolve the matter without discovery and litigation. Accordingly, the undersigned parties, subject to this Court's approval, stipulate to extend the initial scheduling dates as follows:
Initial Disclosures Pursuant to FRCP 26(a)(1): 9/23/2023
Combined Joint Status Report: 9/30/2023
Dated this 6th day of July, 2023.
[PROPOSED] ORDER ON STIPULATION TO EXTEND JSR DEADLINES
Pursuant to the stipulation of the parties and for good cause appearing, it is so ordered.