Opinion
2:22-cv-01397-MMD-VCF
11-14-2022
KIND LAW Michael Kind FREEDOM LAW FIRM George Haines Gerardo Avalos Attorneys for Plaintiff DUANE MORRIS LLP Tyson E. Hafen Attorneys for Defendant U.S. BANK, N.A.
KIND LAW Michael Kind
FREEDOM LAW FIRM George Haines Gerardo Avalos Attorneys for Plaintiff
DUANE MORRIS LLP Tyson E. Hafen Attorneys for Defendant U.S. BANK, N.A.
STIPULATION AND ORDER EXTENDING TIME FOR DEFENDANT U.S. BANK, N.A., TO RESPOND TO PLAINTIFF'S COMPLAINT
(SECOND REQUEST)
Plaintiff MICHAEL BRADFORD (“Plaintiff”), and by through his counsel, KIND LAW and FREEDOM LAW FIRM, and defendant U.S. BANK, N.A. (“Defendant” or “U.S. Bank”), by and through its counsel, DUANE MORRIS LLP, hereby stipulate to further extend the time for U.S. Bank to respond to Plaintiff's complaint up to and including January 17, 2023.
This further extension will allow U.S. Bank's counsel, who were recently retained in this matter, to analyze the claims made and obtain and review any relevant documents. It will also provide Plaintiff and U.S. Bank additional time to evaluate whether an early resolution may be possible, as preliminary settlement discussions are ongoing. This further extension is also warranted in light of the upcoming holiday season which may impact efforts to obtain documents and information from the respective parties in a timely manner. This is the second request for an extension to U.S. Bank's deadline to respond to the complaint, and is made in good faith and not for the purpose of delay.
ORDER
IT IS SO ORDERED.