Opinion
2:22cv00045
06-20-2023
NICHOLAS W BROWN, UNITED STATES ATTORNEY BY JAMES STRONG, ATTORNEY FOR DEFENDANTS NOLAN LIM LAW FIRM, PS BY NOLAN LIM ATTORNEYS FOR PLAINTIFF
NICHOLAS W BROWN, UNITED STATES ATTORNEY BY JAMES STRONG, ATTORNEY FOR DEFENDANTS
NOLAN LIM LAW FIRM, PS BY NOLAN LIM ATTORNEYS FOR PLAINTIFF
STIPULATION AND ORDER ALLOWING PLAINTIFF TO FILE FIRST AMENDED COMPLAINT
HONORABLE JOHN CHUN UNITED STATES DISTRICT JUDGE
NOTED FOR JUNE 20, 2023
WHEREAS on June 8, Plaintiff, reached out to Defendant to discuss whether Defendant would stipulate to Plaintiff filing a First Amended Complaint adding additional facts.
WHEREAS on June 12, 2023, Plaintiff received confirmation that Defendant would stipulate to Plaintiff's filing of Plaintiff First Amended Complaint.
WHEREAS a copy of Plaintiff's proposed First Amended Complaint for Damages AND Injunctive Relief is attached hereto as Exhibit “A.”
IT IS HEREBY STIPULATED, by and between Plaintiff and Defendant, by and through their respective counsel, that:
1. Plaintiff should be granted leave to file a First Amended Complaint for Damages, a redlined copy of which is attached hereto as Exhibit “A.”
2. Defendant's responsive pleading shall be due thirty (30) days after the First Amended Complaint for Damages is filed.
ORDER
The Court having reviewed the foregoing Stipulation, and good cause appearing therefore:
IT IS HEREBY ORDERED that Plaintiff, JOSEPH EDGELL, is granted leave to file a First Amended Complaint for Damages, a redlined copy of which is attached hereto as Exhibit “A.”
IT IS ALSO ORDERED that Defendant's responsive pleading shall be due thirty days after the First Amended Complaint for Damages is filed.
IT IS SO ORDERED.