Opinion
2:21-cv-00643-APG-EJY
08-23-2023
SKYLER H. PEARSON, ESQ. ASSISTANT UNITED STATES ATTORNEY ATTORNEY FOR DEFENDANT DIMOPOULOS INJURY LAW PAUL A. SHPIRT ESQ. ATTORNEY FOR PLAINTIFF
SKYLER H. PEARSON, ESQ. ASSISTANT UNITED STATES ATTORNEY ATTORNEY FOR DEFENDANT
DIMOPOULOS INJURY LAW PAUL A. SHPIRT ESQ. ATTORNEY FOR PLAINTIFF
STIPULATION TO EXTEND TIME TO SUBMIT CONFIDENTIAL WRITTEN EVALUATION STATEMENTS
Plaintiff Joel Kane Howard, and Defendant the United States of America, through counsel of record, stipulate and request that the Court extend the deadline to submit the parties' Confidential Written Evaluation Statements until 4:00 P.M. on Monday, August 28, 2023.
This extension is sought in good faith and for the following reason: Counsel for the Defendant and his family have experienced unexpected sickness that has cause him to be out of the office for longer than expected. Respective counsel for the parties have a good working relationship and have agreed to this request. This additional time will allow the parties sufficient time to submit helpful statements to the Court.
Accordingly, the parties respectfully request THAT the deadline to submit Confidential Written Evaluation Statements be extended until 4:00 p.m. on Monday August 28, 2023.
IT IS SO ORDERED