Opinion
2:20-cv-01516-CDS-NJK
04-04-2023
FISHER & PHILLIPS Scott M. Mahoney, Esq. Attorney for Defendants. KEMP & KEMP Victoria Neal, Esq. Attorney for Plaintiff.
FISHER & PHILLIPS Scott M. Mahoney, Esq. Attorney for Defendants.
KEMP & KEMP Victoria Neal, Esq. Attorney for Plaintiff.
STIPULATION AND ORDER RE: BRIEFING SCHEDULE RE: PLAINTIFF'S MOTIONS TO STRIKE (FIRST REQUEST)
The parties, by and through their respective counsel, hereby agree that Defendants will have additional time, up to and including April 18, 2023, to file oppositions to Plaintiff's Motion to Strike Defendants' Reply Brief (ECF No. 56) and Plaintiff's Motion to Strike Declaration of Jennifer Johnson (ECF No. 57). Both Motions to Strike were filed on March 22, 2023. Defense counsel just returned from vacation on March 21, and aside from various filing deadlines, hearings, depositions, and appellate work in other cases, needs additional time because he has permanently or temporarily taken over some matters from a departing partner. This is the first request for an extension of these opposition deadlines.
It is further agreed that Plaintiff will have up to and including May 2, 2023 to file reply briefs to the oppositions to be filed by Defendants.
IT IS SO ORDERED.