Opinion
2:18-cv-00394-JAD-NJK
02-16-2023
Joseph G. Went, Esq. Sydney R. Gambee, Esq. HOLLAND & HART LLP Attorneys for Elavon, Inc. Michael R. Mushkin, Esq. (NSB 2421) L. Joe Coppedge, Esq. (NSB 4954) MUSHKIN & COPPEDGE Attorney for JB Carter Enterprises, LLC dba A TMMerchant System
Joseph G. Went, Esq.
Sydney R. Gambee, Esq.
HOLLAND & HART LLP
Attorneys for Elavon, Inc.
Michael R. Mushkin, Esq. (NSB 2421)
L. Joe Coppedge, Esq. (NSB 4954)
MUSHKIN & COPPEDGE
Attorney for JB Carter Enterprises, LLC dba A TMMerchant System
STIPULATION AND ORDER TO EXTEND BRIEFING SCHEDULE
(SECOND REQUEST)
ECF NO. 147
Defendant ELAVON, INC. (“Elavon”) and Plaintiff JB CARTER ENTERPRISES, LLC DBA ATM MERCHANT SYSTEMS (“ATMMS”), by and through their respective counsel of record, and pursuant to LR IA 6-1, hereby stipulate and agree to extend post-trial briefing schedule.
IT IS HEREBY STIPULATED that the deadline for Defendant to file its response brief, previously due on February 21, 2023, shall be extended by two weeks, until and including March 7, 2023. Plaintiff's reply brief, previously due on March 7, 2023, shall now be due on March 21, 2023.
This is the second request for extension of these deadlines. Counsel request this extension not for the purposes of delay, but to ensure adequate time to fully address all matters raised in Plaintiff's Opening Brief, filed January 20, 2023 (ECF No. 146) and to allow sufficient time to consult with client representative(s) regarding the same.
STIPULATED AND AGREED TO.
ORDER
IT IS SO ORDERED.