Opinion
2:22-cv-00316-CDS-BNW
02-22-2023
HONE LAW JILL GARCIA, NV BAR NO. 7805 ATTORNEYS FOR PLAINTIFF ERIC COLLINS MESSNER REEVES LLP JONATHAN B. OWENS, NV BAR NO. 7118 JONES WALKER LLP TRACY E. KERN (ADMITTED PRO HAC VICE) P.J. KEE (ADMITTED PRO HAC VICE) ATTORNEYS FOR DEFENDANT AUTOZONERS, LLC
HONE LAW JILL GARCIA, NV BAR NO. 7805 ATTORNEYS FOR PLAINTIFF ERIC COLLINS
MESSNER REEVES LLP JONATHAN B. OWENS, NV BAR NO. 7118 JONES WALKER LLP TRACY E. KERN (ADMITTED PRO HAC VICE) P.J. KEE (ADMITTED PRO HAC VICE) ATTORNEYS FOR DEFENDANT AUTOZONERS, LLC
STIPULATION AND ORDER TO EXTEND DEADLINE FOR PLAINTIFF TO RESPOND TO DEFENDANT AUTOZONERS, LLC'S MOTION FOR SUMMARY JUDGMENT (FIRST REQUEST)
Plaintiff Eric Collins (“Plaintiff”) and Defendant AutoZoners, LLC (“AutoZoners”), by and through their respective counsel of record, hereby file this Stipulation and Order to Extend Deadline for Plaintiff to Respond to Defendant AutoZoners Motion for Summary Judgment (First Request).
IT IS HEREBY STIPULATED AND AGREED that Plaintiff shall have an extension up to and including March 22, 2023 to file his response to Defendant AutoZoners' Motion for Summary Judgment filed on February 15, 2023 [ECF No. 42] (“Motion”). The requested extension is sought in good faith and not for purposes of undue delay. This Stipulation is submitted and based upon the following:
1. Plaintiff's counsel has a pre-planned vacation during the week the original deadline to respond to the Motion is due.
2. This is the first request for an extension of time for Plaintiff to file a response to Defendant AutoZoners' Motion for Summary Judgment.
IT IS SO ORDERED.