Opinion
2:22-cv-01174 TSZ
06-13-2023
FOX ROTHSCHILD LLP BY GAVIN W. SKOK, BRYAN J. CASE, FOX ROTHSCHILD LLP JONATHAN P. HEYL (ADMITTED PRO HAC VICE) FOX ROTHSCHILD LLP ATTORNEYS FOR DEFENDANTS LAW OFFICES OF NEAL BONRUD PLLC BY S/NEAL E. BONRUD JR. NEAL E. BONRUD JR., LAW OFFICES OF NEAL BONRUD PLLC ATTORNEYS FOR DEFENDANTS
FOX ROTHSCHILD LLP BY GAVIN W. SKOK, BRYAN J. CASE, FOX ROTHSCHILD LLP JONATHAN P. HEYL (ADMITTED PRO HAC VICE) FOX ROTHSCHILD LLP ATTORNEYS FOR DEFENDANTS
LAW OFFICES OF NEAL BONRUD PLLC BY S/NEAL E. BONRUD JR. NEAL E. BONRUD JR., LAW OFFICES OF NEAL BONRUD PLLC ATTORNEYS FOR DEFENDANTS
STIPULATED MOTION AND ORDER GRANTING LEAVE TO AMEND COMPLAINT
HON. THOMAS S. ZILLY UNITED STATES DISTRICT JUDGE
Note on Motion Calendar: June 13, 2023
The parties are in agreement that, pursuant to Fed.R.Civ.P. 15(a)(2), the plaintiffs should be granted leave to amend the Complaint. The parties respectfully request that the Court grant the parties' stipulated motion.
In compliance with LCR 15, a version of the proposed First Amended Complaint is attached.
IT IS SO STIPULATED.
Pursuant to the parties' above stipulation and Fed.R.Civ.P. 15(a)(2), the Motion for Leave to Amend Complaint for Damages (Dkt. 14) is HEREBY GRANTED. The plaintiffs are granted leave to file the First Amended Complaint.
It is so ordered.