Opinion
2:21-cv-01967-GMN-EJY
01-07-2022
MARK J. CONNOT JOHN M. ORR FOX ROTHSCHILD LLP
MARK J. CONNOT
JOHN M. ORR
FOX ROTHSCHILD LLP
STIPULATION TO EXTEND
DEADLINE FOR DEFENDANT
FLAGSHIP CREDIT ACCEPTANCE
LLC TO RESPOND TO COMPLAINT
(Second Request)
DEFENDANT FLAGSHIP CREDIT ACCEPTANCE LLC PLAINTIFF PAUL JOHN CARR (“Plaintiff”), by and through their undersigned counsel, hereby stipulate and agree as follows:
RECITALS
WHEREAS on October 26, 2021, Plaintiff filed a Complaint (ECF No. 01), initiating this action;
WHEREAS on November 16, 2021, Flagship executed a Waiver of Service;
WHEREAS on December 27, 2021, this Court entered the parties' Stipulation and Order to Extend Deadline for Flagship Credit Acceptance LLC to Respond to Complaint (First Request), without prejudice for further extensions of time by agreement of the parties; and
WHEREAS, the parties agree that the deadline for Flagship to respond to the Complaint should be further extended through and including January 24, 2022;
STIPULATION
NOW, THEREFORE, Plaintiff and Flagship hereby stipulate and agree as follows:
IT IS STIPULATED AND AGREED that Flagship's response to Plaintiffs Complaint (ECF No. 1) is due by no later than January 24, 2022, without prejudice for further extensions of time by agreement of the parties.