Opinion
2:22-cv-01553-CDS-VCF
02-27-2023
Christian Gabroy Kaine Messer Attorneys for Defendant Jason Finch Michael C. Van Farhad Novian, Esq. (Admitted Pro Hac Vice) Alexander Kandel, Esq. (Admitted Pro Hac Vice) Alexander B. Gura, Esq. (Admitted Pro Hac Vice) NOVIAN & NOVIAN, LLP Attorneys for Plaintiff
Christian Gabroy Kaine Messer Attorneys for Defendant Jason Finch
Michael C. Van Farhad Novian, Esq. (Admitted Pro Hac Vice) Alexander Kandel, Esq. (Admitted Pro Hac Vice) Alexander B. Gura, Esq. (Admitted Pro Hac Vice) NOVIAN & NOVIAN, LLP Attorneys for Plaintiff
STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO PLAINTIFF'S MOTION FOR PROTECTIVE ORDER (FIRST REQUEST)
CAM FERENBACH UNITED STATES MAGISTRATE JUDGE
It is hereby stipulated by and between Plaintiff EBET, Inc., (“Plaintiff”) through its counsel Michael C. Van, Esq., Garret R. Chase, Esq., of VC2 Law along with Farhad Novian, Esq., Alexander B. Gura, Esq., Alexander Kandel, Esq., of Novian & Novian, LLP and Defendant Jason Finch, (“Defendant”) through his counsel Christian Gabroy, Esq. and Kaine Messer, Esq. of Gabroy | Messer, shall have an extension up to and including March 24, 2023, for Defendant to file his response to Plaintiff's Motion for Protective Order (ECF No. 24, filed February 13, 2023). This is the first request for an extension to respond. This stipulation is submitted per LR IA 6-1 and based upon the following:
1. Plaintiff filed its Motion for Protective Order on or about February 13, 2023. See ECF No. 24, p. 1.
2. Defendant's response is currently due on or about February 27, 2023.
3. This is the first request for an extension of time for the Defendant to file his response.
4. This request for extension is made in good faith, with good cause, and not for the purpose of delay. Specifically, the parties have tentatively agreed on attending a mediation before Hon. Gene T. Porter (Ret.) on March 17, 2023. This request is sought in order to avoid potentially unnecessary costs and expense should the parties achieve resolution at the upcoming mediation. Defendant has requested this extension and Plaintiff has agreed to such request.
5. Nothing in this Stipulation, nor the fact of entering to the same, shall be construed as waiving any claim and/or defense held by any party.
IT IS SO STIPULATED.
IT IS SO ORDERED.