Opinion
2:23-cv-00332-GMN-VCF
04-06-2023
Respectfully submitted, SEYFARTH SHAW LLP Jennifer R. Brooks SEYFARTH SHAW LLP Counsel for Defendant Equifax Information Services LLC CONSUMER ATTORNEYS Michael Yancey III CONSUMER ATTORNEYS Counsel for Plaintiff Rafael Figueira
Respectfully submitted,
SEYFARTH SHAW LLP
Jennifer R. Brooks
SEYFARTH SHAW LLP
Counsel for Defendant Equifax Information Services LLC
CONSUMER ATTORNEYS
Michael Yancey III
CONSUMER ATTORNEYS
Counsel for Plaintiff Rafael Figueira
STIPULATION OF EXTENSION OF TIME FOR DEFENDANT EQUIFAX INFORMATION SERVICES LLC TO FILE ANSWER
Defendant Equifax Information Services LLC (“Equifax”) has requested an extension of time to answer, move or otherwise respond to the Complaint in this matter, to which Plaintiff has no opposition. Accordingly, pursuant to LR IA 6-2, IT IS HEREBY STIPULATED AND AGREED to by and among counsel, that Defendant Equifax Information Services LLC's time to answer, move or otherwise respond to the Complaint in this action is extended from April 12, 2023 through and including May 3, 2023. Plaintiff and Equifax are actively engaged in settlement discussions. The additional time to respond to the Complaint will facilitate settlement discussions. This stipulation is filed in good faith and not intended to cause delay.
IT IS SO ORDERED:
CERTIFICATE OF SERVICE
I hereby certify that on April 6, 2023, I presented the foregoing STIPULATION OF EXTENSION OF TIME FOR DEFENDANT EQUIFAX INFORMATION SERVICES LLC TO FILE ANSWER with the Clerk of the Court using the CM/ECF system, which will send notification of such filing to all counsel of record.