Opinion
2:23-cv-00941-JAD-BNW
08-03-2023
STACY HUNTER, Plaintiff, v. EXPERIAN INFORMATION SOLUTIONS INC., EQUIFAX INC., TRANSUNION LLC AND BENEFICIAL STATE BANK, Defendants.
JENNIFER L. BRASTER NEVADA BAR NO. 9982 NAYLOR & BRASTER ATTORNEYS FOR EXPERIAN INFORMATION SOLUTIONS INC. NAYLOR & BRASTER Jennifer L. Braster (NBN 9982) Attorneys for Experian Information Solutions Inc.
Complaint filed: June 16, 2023
JENNIFER L. BRASTER NEVADA BAR NO. 9982
NAYLOR & BRASTER
ATTORNEYS FOR EXPERIAN INFORMATION SOLUTIONS INC.
NAYLOR & BRASTER
Jennifer L. Braster (NBN 9982)
Attorneys for Experian Information Solutions Inc.
DEFENDANT EXPERIAN INFORMATION SOLUTIONS, INC.'S MOTION TO EXTEND TIME TO ANSWER COMPLAINT (FIRST REQUEST)
Defendant Experian Information Solutions Inc. (“Defendant”), by and through its counsel of record, hereby requests an extension until August 24, 2023, to respond to Plaintiff's Complaint (ECF No. 1) pursuant to LR IA 6-1.
Plaintiff filed her Complaint on June 16, 2023. On August 2, 2023, the undersigned counsel was retained to represent Defendant. Upon information and belief, the deadline for Defendant to respond to the Complaint is currently August 3, 2023. Defendant contacted Plaintiff to inquire as to whether Plaintiff would agree to the extension. As of the filing of this motion, Plaintiff has not responded to Defendant's inquiry.
This is Defendant's first request for an extension of time to respond to the Complaint and is not intended to cause any delay or prejudice to any party, but rather to allow Defendant time to investigate Plaintiff's claims. As set forth above, Defendant's counsel was only recently retained on August 2, 2023. Therefore, Defendant respectfully requests until August 24, 2023, to file its responsive pleading.
IT IS SO ORDERED.