Opinion
2:23-cv-01158
08-17-2023
JOHN MEGGS, LLC, Plaintiff, v. IRON FLAMINGO LLC, and YESHI MART, LLC Defendants.
JEFFERY A. BENDAVID, ESQ. BENDAVID LAW Attorney for Defendant Iron Flamingo LLC LAW OFFICES OF ROBERT P. SPRETNAK ROBERT P. SPRETNAK, ESQ. Attorney for Plaintiff
JEFFERY A. BENDAVID, ESQ.
BENDAVID LAW
Attorney for Defendant Iron Flamingo LLC
LAW OFFICES OF ROBERT P. SPRETNAK ROBERT P. SPRETNAK, ESQ. Attorney for Plaintiff
STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO PLAINTIFF'S COMPLAINT
Defendant, IRON FLAMINGO LLC by and through their counsel of record, JEFFERY A. BENDAVID, ESQ. of BENDAVID LAW, and Plaintiff, JOHN MEGGS by and through his counsel of record, ROBERT P. SPRETNAK, ESQ. of the LAW OFFICES OF ROBERT P. SPRETNAK, and BEVERLY VIRUES, ESQ. of the LAW FIRM OF GARCIA-MENOCAL & PEREZ P. L. (Pro Hac Vice pending), stipulate as follows:
Defendant, IRON FLAMINGO LLC's response to Plaintiff's Complaint is presently due on August 16, 2023. The parties stipulate that Defendant, IRON FLAMINGO LLC may have an extension of time to file a responsive pleading to Plaintiff's Complaint to and including the date of August 30, 2023. Defendant IRON FLAMINGO LLC's is currently investigating to see if there is any applicable insurance coverage to the claims in the Complaint filed by Plaintiff, JOHN MEGGS, LLC.
As such, Defendant has requested a two- week extension to and including August 30, 2023 to further investigate any applicable insurance to the claims in the Plaintiff's Complaint.
ORDER
IT IS SO ORDERED.