Opinion
2:22-cv-00209-JAD-VCF
04-06-2022
GORDON REES SCULLY BY LORI N. BROWN ATTORNEYS FOR DEFENDANT PORTFOLIO RECOVERY ASSOCIATES, LLC KAZEROUNI LAW GROUP, APC BY: GUSTAVO PONCE (WITH PERMISSION) MONA AMINI PLAINTIFF
GORDON REES SCULLY BY LORI N. BROWN ATTORNEYS FOR DEFENDANT PORTFOLIO RECOVERY ASSOCIATES, LLC
KAZEROUNI LAW GROUP, APC BY: GUSTAVO PONCE (WITH PERMISSION) MONA AMINI PLAINTIFF
STIPULATION AND ORDER TO EXTEND TIME TO FILE RESPONSE TO COMPLAINT
(Second Request)
Pursuant to Local Rule IA 6-1, Defendant Portfolio Recovery Associates, LLC (“PRA”) by and through its attorney, Lori N. Brown of Gordon Rees Scully Mansukhani, LLP and Plaintiff Vincent Ismael, by and through his attorneys Gustavo Ponce and Mona Amini of Kazerouni Law Group, hereby stipulate and agree as follows:
1. Plaintiff filed his Complaint on February 3, 2022.
2. PRA was served with the summons and complaint on February 11, 2022.
3. PRA's responsive pleading is currently due April 4, 2022.
4. PRA requests additional time to file its response to the Complaint up to and including April 18, 2022.
5. Plaintiff does not oppose the requested extension.
6. The extension, which is PRA's second requested extension, will allow PRA and Plaintiff to continue exploring possible early resolution without incurring unnecessary fees and costs.
7. This stipulation is not made for purposes of delay.
8. Accordingly, PRA will file its responsive pleading to Plaintiffs Complaint on or before April 18, 2022.
IT IS SO STIPULATED.
IT IS SO ORDERED.