Opinion
2:22-cv-01620-GMN-NJK
02-07-2023
BALLARD SPAHR LLP Joel E. Tasca Matt Morr, Esq. Pro Hac Vice Attorneys for Defendant Specialized Loan Servicing, LLC HANKS LAW GROUP Karen L. Hanks Nevada Bar No. 14124 Attorney for Plaintiff
BALLARD SPAHR LLP
Joel E. Tasca
Matt Morr, Esq.
Pro Hac Vice
Attorneys for Defendant Specialized Loan Servicing, LLC
HANKS LAW GROUP
Karen L. Hanks
Nevada Bar No. 14124
Attorney for Plaintiff
STIPULATION AND ORDER TO EXTEND TIME TO FILE RESPONSE TO MOTION TO DISMISS
(THIRD REQUEST)
Plaintiff, Elizabeth Estrada and Defendant, Specialized Loan Servicing, LLC hereby stipulate, that Plaintiff shall have until February 7, 2023 to file her response to Defendant's motion to dismiss. [ECF No. 20].
The current deadline for Plaintiffs response is January 31, 2023. Plaintiff seeks the extension because undersigned counsel had two children come down with strep throat last week and this week and it took time away from her being able to complete the response. The response is 60% drafted and counsel just needs a few additional days to complete it.
The extension is not sought to prejudice any party or delay the case.
ORDER
IT IS SO ORDERED.