Opinion
22-cv-00798-CDS-EJY
12-20-2022
ANGELA LIZADA (SBN 1163) CHRISTINE M. EMANUELSON (SBN 10143) HINES HAMPTON PELANDA LLP Attorneys for Defendants LAW OFFICE OF DAVID SAMPSON David F. Sampson, Esq. Attorney for Plaintiff
ANGELA LIZADA (SBN 1163)
CHRISTINE M. EMANUELSON (SBN 10143)
HINES HAMPTON PELANDA LLP
Attorneys for Defendants
LAW OFFICE OF DAVID SAMPSON
David F. Sampson, Esq.
Attorney for Plaintiff
STIPULATION AND [PROPOSED] ORDER EXTENDING RESPONSE DEADLINE TO DEFENDANTS' MOTION FOR A PROTECTIVE ORDER
1. On December 19, 2022, the Defendants in this matter filed a motion for a protective order. [See ECF Doc. 62.]
2. The default deadline for Plaintiff to file a response to that motion is January 2, 2023, pursuant to Local Rule 7-2(b).
3. However, prior to filing that motion for a protective order, Defendants' counsel conferred with Plaintiff's counsel about the anticipated response deadline in light of the upcoming holidays. Defendants' counsel agreed to stipulate to extend the deadline for Plaintiff to file any response to that motion to January 16, 2023.
4. Thus, the parties hereby stipulate, agree, and request that the Court reschedule the deadline for Plaintiff to file any response to Defendants' motion for a protective order [Doc. 62] from January 2nd to January 16, 2023.
IT IS SO ORDERED: