Opinion
7:23-CV-136-WLS
02-13-2024
PETER D. LEARY UNITED STATES ATTORNEY ROGER C. GRANTHAM, JR. Assistant United States Attorney Counsel for Defendant s/Leslie Diaz Leslie Diaz, Esq. Georgia Bar No. 637559 Socheat Chea, P.C. Counsel for Plaintiffs
PETER D. LEARY
UNITED STATES ATTORNEY
ROGER C. GRANTHAM, JR.
Assistant United States Attorney
Counsel for Defendant s/Leslie Diaz
Leslie Diaz, Esq.
Georgia Bar No. 637559
Socheat Chea, P.C.
Counsel for Plaintiffs
STIPULATION REGARDING TIME TO RESPOND TO THE COMPLAINT
W Louis Sands. Sr. Judge
On December 7, 2023, Plaintiffs filed their Complaint in this matter. (ECFNo. I.) Based on the date that Defendant was served, the deadline for Defendant to respond to the Complaint is February 12, 2024. Pursuant to Local Rule 6.1, the parties now file this stipulation advising the Court that Plaintiffs and Defendant consent and agree that the date for Defendant's response to the Complaint shall be extended for thirty (30) days-up to and including Wednesday, March 13, 2024.
SO ORDERED.