Opinion
2:22-cv-01388-CDS-EJY
01-26-2023
DIANA G. DICKINSON, Esq., Bar No. 13477, LITTLER MENDELSON, P.C., Attorney for Defendant BACKGROUNDCHECKS.COM LLC. MICHAEL KIND, ESQ., KIND LAW, GEORGE HAINES, ESQ., GERARDO AVALOS, ESQ., FREEDOM LAW FIRM, LLC, Attorneys for Plaintiff, DAVID HORTON.
DIANA G. DICKINSON, Esq., Bar No. 13477, LITTLER MENDELSON, P.C., Attorney for Defendant BACKGROUNDCHECKS.COM LLC.
MICHAEL KIND, ESQ., KIND LAW, GEORGE HAINES, ESQ., GERARDO AVALOS, ESQ., FREEDOM LAW FIRM, LLC, Attorneys for Plaintiff, DAVID HORTON.
STIPULATION TO EXTEND TIME FOR DEFENDANT BACKGROUNDCHECKS.COM LLC TO FILE RESPONSIVE PLEADING TO PLAINTIFF'S COMPLAINT [SECOND REQUEST]
Plaintiff DAVID HORTON (“Plaintiff”) and Defendant BACKGROUNDCHECKS.COM LLC (“Defendant”), by and through their undersigned counsel, hereby agree and stipulate to extend the time for Defendant to file a response to the Complaint from the current deadline of January 26, 2023, up to and including February 27, 2023.
This is the second request for an extension of time to respond to the Complaint. The requested extension is necessary in light of the fact the parties have begun discussions regarding the scope and handling of the case and potential resolution of this matter. The additional time will allow the parties to complete these discussions for efficiency before having to engage in motion practice.
This request is made in good faith and not for the purpose of delay, and the parties believe the interests of judicial economy support granting this extension.
IT IS SO ORDERED.