Opinion
2:23-cv-01450-APG-BNW
10-10-2023
DOMINICA C. ANDERSON (SBN 2988) TYSON E. HAFEN (SBN 13139) DUANE MORRIS LLP Attorneys for Defendant U.S. BANK N.A. FREEDOM LAW FIRM, LLC George Haines (SBN 9411) Gerardo Avalos (SBN 15171) Attorneys for Plaintiff
DOMINICA C. ANDERSON (SBN 2988)
TYSON E. HAFEN (SBN 13139)
DUANE MORRIS LLP
Attorneys for Defendant
U.S. BANK N.A.
FREEDOM LAW FIRM, LLC
George Haines (SBN 9411)
Gerardo Avalos (SBN 15171)
Attorneys for Plaintiff
STIPULATION AND ORDER FOR EXTENSION OF TIME FOR U.S. BANK N.A., TO RESPOND TO COMPLAINT
Plaintiff Mariano Garcera, by and through her counsel, FREEDOM LAW FIRM, LLC, and Defendant U.S. Bank N.A. (“U.S. Bank”), by and through its counsel, DUANE MORRIS LLP, hereby stipulate to extend the time for U.S. Bank to respond to Plaintiff's Complaint, which response is currently due October 10, 2023, up to and including November 27, 2023.
This extension will allow U.S. Bank's counsel, who were recently retained in this matter, to analyze the claims made and obtain and review any relevant documents. This is the first request for an extension to U.S. Bank's deadline to respond to the complaint, and is made in good faith and not for the purpose of delay.
IT IS SO ORDERED.