Opinion
2:22-cv-02073-JCM-EJY
04-12-2023
JASON M. FRIERSON, United States Attorney, District of Nevada, Nevada Bar No. 7709, VIRGINIA T. TOMOVA, Assistant United States Attorney Nevada Bar Number 12504, Attorneys for United States. LERNER & ROWE INJURY ATTORNEYS, JOSEPH F. SCHMITT, ESQ., Nevada Bar No. 9681, Attorneys for Plaintiff.
JASON M. FRIERSON, United States Attorney, District of Nevada, Nevada Bar No. 7709, VIRGINIA T. TOMOVA, Assistant United States Attorney Nevada Bar Number 12504, Attorneys for United States.
LERNER & ROWE INJURY ATTORNEYS, JOSEPH F. SCHMITT, ESQ., Nevada Bar No. 9681, Attorneys for Plaintiff.
STIPULATION AND ORDER TO EXTEND TIME TO FILE A RESPONSE
Plaintiff Yolanda Donoho and Defendant United States of America, through undersigned counsel, hereby submit this stipulation to extend the date for Plaintiff to file a First Amended Complaint (“the amended complaint”) and for Defendant to file and serve a responsive pleading to the amended complaint.
The current deadline for the United States to respond to the Plaintiff's Complaint is April 17, 2023.
The parties, through undersigned counsel, agree and stipulate that the Plaintiff will have until May 3, 2023 to amend her complaint.
The parties stipulate and request that the Court approve a 30-days extension, from May 3, 2023 to June 2, 2023, for the United States of America to file a response to the amended complaint. This is the first request for an extension of time.
Therefore, the parties request that the Court extend the deadline for the United States to answer or otherwise respond to the Plaintiff's First Amended Complaint to June 2, 2023.
This stipulated request is filed in good faith and not for the purposes of undue delay.
ORDER
IT IS SO ORDERED: