Opinion
2:22-cv-01397-MMD-VCF
11-01-2022
RACHAEL SWERNOFSKY Nevada Bar No. 15465 QUILLING SELANDER LOWNDS WINSLETT & MOSER, P.C. rswernofsky@qslwm.com Counsel for Trans Union LLC **Designated Attorney for Personal Service** Kurt Bonds, Esq.
RACHAEL SWERNOFSKY
Nevada Bar No. 15465
QUILLING SELANDER LOWNDS
WINSLETT & MOSER, P.C.
rswernofsky@qslwm.com Counsel for Trans Union LLC
**Designated Attorney for Personal Service** Kurt Bonds, Esq.
ORDER EXTENDING DEFENDANT TRANS UNION LLC'S TIME TO FILE AN ANSWER OR OTHERWISE RESPOND TO PLAINTIFF'S COMPLAINT (SECOND REQUEST)
Defendant Trans Union LLC (“Trans Union”), by and through its counsel, files this Second Unopposed Motion Extending Defendant Trans Union's Time to File an Answer or Otherwise Respond to Plaintiff's Complaint.
On August 26, 2022, Plaintiff filed his Complaint in this Court against Trans Union alleging claims pursuant to the Fair Credit Reporting Act (“FCRA”), 15 § 1681, et seq. On September 27, 2022, Plaintiff filed his First Motion for Extension of Time for Trans Union LLC to Respond to the Complaint. (Dkt.14). Trans Union's response to the Complaint is due October 31, 2022.
Plaintiff has agreed to extend the deadline in which Trans Union has to answer or otherwise respond to Plaintiff's Complaint up to and including November 30, 2022.
Trans Union retained undersigned counsel on October 24, 2022, and additional time is required to locate and assemble the documents relating to Plaintiffs' allegations, any disputes submitted to Trans Union, and Trans Union's investigation of any such disputes. Trans Union's counsel will then need additional time to review the documents and respond to the allegations in Plaintiff's Complaint. Additionally, Plaintiff and Trans Union are actively engaged in caseresolution negotiations and are optimistic about resolving this case entirely. This Motion is made in good faith and not for the purposes of delay.
IT IS SO ORDERED: Response due 11/30/2022.