Opinion
2:21-cv-0198-CDS-DJA
12-02-2022
Christian Gabroy (#8805) Kaine Messer (#14240) Attorneys for Plaintiff Jeffrey Galliher (#8078) Attorney for Defendants
Christian Gabroy (#8805) Kaine Messer (#14240) Attorneys for Plaintiff
Jeffrey Galliher (#8078) Attorney for Defendants
STIPULATION AND ORDER TO EXTEND JOINT PRETRIAL ORDER DEADLINE (FIRST REQUEST)
STIPULATION AND ORDER TO EXTEND JOINT PRETRIAL ORDER DEADLINE
The parties by and through their respective attorneys of record, hereby stipulate to a forty-five (45) day extension up to and including January 17, 2023 (January 16, 2023 falls on a federal holiday), to file the joint pretrial order. The parties' joint pretrial order is currently due on December 2, 2022. ECF No. 15, p. 2. To date, the parties are working and conferring together to complete the joint pretrial order to completion and finalization. Per LR IA 6-1, this is the first request for an extension to file the joint pretrial order. Plaintiff has requested this extension and Defendant has agreed to the request.
Good cause exists for such extension. Tragically, Plaintiff's lead counsel's immediate family member previously suffered a medical emergency, requiring intubation. This family emergency has necessarily required a great deal of Plaintiff's lead counsel's time and attention. Additionally, Plaintiff's counsel has prior scheduled travel commitments during the upcoming holidays and requires the extension to conduct due diligence and potentially streamline various issues.
Accordingly, the parties stipulate to extending the deadline to file the Joint Pretrial Order deadline to January 17, 2023.
This request is not sought for any improper purpose or other reason of delay. No party is prejudiced by the requested extension.
IT IS SO STIPULATED.
IT IS SO ORDERED.