Opinion
3:22-cv-00495-MMD-CLB
02-27-2023
MARY MARSH LINDE Mary Marsh Linde, Esq. Attorney for Plaintiffs David D. Dobbins and Sharon L. Dobbins, Trustees. TAHOE REGIONAL PLANNING AGENCY John L. Marshall General Counsel Attorney for Defendant TRPA. MCDONALD CARANO LLP William A.S. Magrath II, Esq. Attorneys for Defendant Glenbrook Homeowners Association.
MARY MARSH LINDE Mary Marsh Linde, Esq. Attorney for Plaintiffs David D. Dobbins and Sharon L. Dobbins, Trustees.
TAHOE REGIONAL PLANNING AGENCY John L. Marshall General Counsel Attorney for Defendant TRPA.
MCDONALD CARANO LLP William A.S. Magrath II, Esq. Attorneys for Defendant Glenbrook Homeowners Association.
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS GLENBROOK HOMEOWNERS ASSOCIATION AND TAHOE REGIONAL PLANNING AGENCY TO FILE RESPONSIVE PLEADING TO COMPLAINT (FOURTH REQUEST)
Defendant, TAHOE REGIONAL PLANNING AGENCY (TRPA), by and through John L. Marshall, its General Counsel, Defendant GLENBROOK HOMEOWNERS ASSOCIATION, by and through its counsel, William A.S. Magrath II and McDonald Carano, LLP, and Plaintiffs, DAVID and SHARON DOBBINS, by and through their counsel, Mary Marsh Linde Esq., do hereby AGREE, STIPULATE AND RESPECTFULLY REQUEST THAT THE Court extend the deadline, now February 27, 2023 until March 27, 2023 within which the Parties shall file their Mutual Dismissal or similar closing pleading with this Court.
This Fourth Request is necessitated by the fact that the Parties reached their settlement agreement this Date and need the requested 30-day span to finalize their settlement agreement and prepare documentation to dismiss this action.
The relevant chronology of this matter has been stated in the previous REQUESTS and is not iterated here, in the interest of brevity.
This Stipulation is entered into in good faith and not for purposes of delay.
ORDER
IT IS SO ORDERED.