Opinion
2:22-cv-01620-GMN-NJK
02-21-2023
Ballard Spahr, LLP JOEL E. TASCA, ESQ. MATTHEW A. MORR Admitted Pro Hac Vice Attorneys for Defendant Specialized Loan Servicing, LLC Hanks Law Group KAREN L. HANKS, ESQ. CHANTEL M. SCHIMMING, ESQ. ANA P. MURGUIA, ESQ. Attorneys for SFR Investments Pool 1, LLC
Ballard Spahr, LLP
JOEL E. TASCA, ESQ.
MATTHEW A. MORR
Admitted Pro Hac Vice
Attorneys for Defendant Specialized Loan Servicing, LLC
Hanks Law Group
KAREN L. HANKS, ESQ.
CHANTEL M. SCHIMMING, ESQ.
ANA P. MURGUIA, ESQ.
Attorneys for SFR Investments Pool 1, LLC
STIPULATION AND ORDER TO EXTEND TIME TO FILE RESPONSE TO MOTION TO STAY DISCOVERY
(FIRST REQUEST)
Plaintiff, Elizabeth Estrada and Defendant, Specialized Loan Servicing, LLC by and through their respective counsel of record, stipulate and agree that Elizabeth Estrada shall have (7) additional days, up to and including, Tuesday, February 28, 2023, to file her response to Specialized Loan Servicing's Motion to Stay Discovery [ECF No. 39], The current deadline is set for Tuesday, February 21, 2023.
This is the parties' first stipulation to extend the time for Elizabeth Estrada's response to Specialized Loan Servicing's motion. SFR's counsel requests the extension due to a medical emergency with SFR's counsel's child that has necessitated follow-up appointments this week. The extension is requested in good faith and is not done for purposes of delay or prejudice to any party.
ORDER
IT IS SO ORDERED: