Opinion
2:22-cv-02105-ART-EJY
01-25-2023
FREEDOM LAW FIRM, LLC, GEORGE HAINES, ESQ. GERARDO AVALOS, ESQ. Attorneys for Teresa Calma ARIEL E. STERN, ESQ., NATALIE L. WINSLOW, ESQ., NICHOLAS E. BELAY, ESQ., AKERMAN LLP, Attorneys for Pennymac Loan Services, LLC
FREEDOM LAW FIRM, LLC, GEORGE HAINES, ESQ. GERARDO AVALOS, ESQ. Attorneys for Teresa Calma
ARIEL E. STERN, ESQ., NATALIE L. WINSLOW, ESQ., NICHOLAS E. BELAY, ESQ., AKERMAN LLP, Attorneys for Pennymac Loan Services, LLC
STIPULATION AND ORDER FOR EXTENSION OF TIME TO RESPOND TO COMPLAINT (SECOND REQUEST)
Plaintiff Teresa Calma and Defendant Pennymac Loan Services, LLC hereby stipulate and agree that Pennymac shall have an additional two (2) weeks, up to and including February 8, 2023, to file its response to the plaintiff's complaint, which is currently due on January 25, 2023. See ECF No. 7. The complaint was filed on December 19, 2022.
Good cause exists to grant the requested extension. The parties enter into this stipulation to address current time and scheduling constraints on Pennymac's counsel. Specifically, Pennymac's counsel is currently preparing for two upcoming trials, which has impacted counsel's ability to fully review and respond to the complaint. ...
This is the parties' second request for an extension of this deadline and is not intended to cause any delay or prejudice to any party.
IT IS SO ORDERED.