Opinion
2:23-cv-01516-JCM-VCF
10-25-2023
Kirk B. Lenhard, Esq. Maliq I. Kendricks, Esq. BROWNSTEIN HYATT FARBER SCHRECK, LLP Attorneys for Defendants DIV Holdings, LLC d/b/a Jardin Premium Cannabis Dispensary; and DIV Realty, LLC Priscilla L. O'Briant, Esq. TYSON & MENDES LLP Attorneys for Plaintiff Falls Lake Fire and Casualty Company
Kirk B. Lenhard, Esq.
Maliq I. Kendricks, Esq.
BROWNSTEIN HYATT FARBER SCHRECK, LLP
Attorneys for Defendants DIV Holdings, LLC d/b/a Jardin Premium Cannabis Dispensary; and DIV Realty, LLC
Priscilla L. O'Briant, Esq.
TYSON & MENDES LLP
Attorneys for Plaintiff Falls Lake Fire and Casualty Company
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS TO RESPOND TO PLAINTIFF'S COMPLAINT
(FIRST REQUEST)
Defendants DIV HOLDINGS, LLC d/b/a JARDIN PREMIUM CANNABIS DISPENSARY and DIV REALTY, LLC (collectively “Defendants”), by and through their counsel of record, the law firm Brownstein Hyatt Farber Schreck, LLP; and Plaintiff Falls Lake Fire and Casualty Company (“Plaintiff”), by and through its counsel of record, Tyson & Mendes LLP, hereby stipulate and agree, contingent on this Court's approval, as follows:
1. This stipulation is made pursuant to LR IA 6-1.
2. On September 26, 2023, Plaintiff filed its Complaint for Declaratory Judgment (“Complaint”). See ECF No. 1. Defendants were served with the Complaint and Summons on September 29, 2023.
3. Defendants' response to the Complaint is currently due on October 20, 2023.
4. On October 19, 2023, Defendants retained the undersigned counsel to represent them in this matter.
5. The parties agree and respectfully request that the deadline for Defendants to file a response to the Complaint be extended two weeks to November 3, 2023.
9. This is the first request for an extension of this deadline.
10. This stipulation is made in good faith and is not made in an attempt to delay proceedings.
IT IS SO STIPULATED.
IT IS SO ORDERED.