Opinion
2:22-cv-00370-CDS-VCF
04-13-2022
WILLIAM CHAPMAN, Plaintiff, v. CAVALRY SPV I, LLC, Defendant.
KIND LAW Gerado Avalos Michael Kind, Esq. KIND LAW George Haines, Esq. Gerardo Avalos, Esq. FREEDOM LAW FIRM Attorneys for Plaintiff LIPSON NEILSON P.C. Jessica A. Green JESSICA A. GREEN, ESQ. Nevada Bar No. 12383 Attorneys for Defendant
KIND LAW
Gerado Avalos
Michael Kind, Esq.
KIND LAW
George Haines, Esq.
Gerardo Avalos, Esq.
FREEDOM LAW FIRM
Attorneys for Plaintiff
LIPSON NEILSON P.C.
Jessica A. Green
JESSICA A. GREEN, ESQ.
Nevada Bar No. 12383
Attorneys for Defendant
STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO COMPLAINT [ECF 1]
Plaintiff William Chapman, by and through his attorneys, the law firm of KIND LAW, and Defendant Cavalry SPV I, LLC, by and through its attorneys, the law firm of LIPSON NEILSON P.C., agree and stipulate as follows:
1. On March 25, 2022, a Stipulation and Order was entered extending the time for Defendant Cavalry SPV I, LLC, to file a response to Plaintiff's Complaint [ECF 1] from March 23, 2022, to and including April 13, 2022. [ECF 9].
2. The parties now stipulate and agree that Defendant may have an additional fourteen (14) days to file a response to Plaintiff's Complaint [ECF 1], extending the deadline from April 13, 2022, to and including April 27, 2022.
Pursuant to Local Rule 6-1(b), the parties state the reason for the extension is that counsel requires more time to evaluate and respond to the allegations in Plaintiff's Complaint. The parties have entered into this agreement in good faith and not for purposes of delay. This request will not cause any prejudice to the parties in this matter.
IT IS SO STIPULATED.
Based on the foregoing stipulation of the parties, IT IS SO ORDERED.