Opinion
2:22-cv-01590-GMN-NJK
01-05-2023
HUTCHISON & STEFFEN, PLLC Todd W. Prall Attorneys for Third-Party Claimant Americare, Inc. Gary Romanik Temporarily Pro Se Third-Party Defendant
HUTCHISON & STEFFEN, PLLC Todd W. Prall Attorneys for Third-Party Claimant Americare, Inc.
Gary Romanik Temporarily Pro Se Third-Party Defendant
STIPULATION AND ORDER TO EXTEND TIME FOR THIRD-PARTY DEFENDANT GARY ROMANIK TO RESPOND TO AMERICARE, INC'S THIRD-PARTY COMPLAINT (FIRST REQUEST)
Third-Party Plaintiff, AMERICARE, INC. (“Americare”) by and through its counsel of record, Todd W. Prall, Esq., and Third-Party Defendant, GARY ROMANIK (“Romanik”), hereby stipulate and agree, pursuant to Federal Rules of Civil Procedure 6(b) and Civil Local Rule IA 6-1, to extend the deadline for Romanik to answer or otherwise respond to Americare's Third-Party Complaint to January 23, 2023. This is the first stipulation for extension of time for Mr. Romanik to answer or otherwise respond to Americare's Third-Party Complaint.
Good cause exists for this extension given that Mr. Romanik is located in California and is still in the process of finding qualified counsel to represent him in this matter, which has been particularly difficult due to the holiday season. Further, once he finds qualified counsel, counsel will need time to familiarize themselves with this matter and prepare a response to Americare's Third-Party Complaint.
This Stipulation is made in good faith and is not for the purpose of delay.
IT IS SO ORDERED.