Opinion
2:22-cv-00532- JCM-DJA
07-06-2023
JEFFREY JOHNSON, Plaintiff, v. USAA CASUALTY INSURANCE COMPANY; DOES 1 through 10, inclusive; and ROE CORPORATIONS 1 through 10, inclusive, Defendants.
H&P LAW, PLLC Marjorie Hauf, Esq. Matthew G. Pfau, Esq. Bre'Ahn Brooks Attorneys for Plaintiff, Jeffrey Johnson SPENCER FANE LLP Mary E. Bacon, Esq. Attorneys for Defendant USAA Casualty Company
H&P LAW, PLLC Marjorie Hauf, Esq. Matthew G. Pfau, Esq. Bre'Ahn Brooks Attorneys for Plaintiff, Jeffrey Johnson
SPENCER FANE LLP Mary E. Bacon, Esq. Attorneys for Defendant USAA Casualty Company
STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF TO FILE HIS REPLY IN SUPPORT OF MOTION TO COMPEL WRITTEN DISCOVERY
(FIRST REQUEST)
IT IS HEREBY STIPULATED by the parties hereto, by and through their counsel of record, that the time for Plaintiff to file his Reply in Support of Plaintiff's Motion to Compel Written Discovery (ECF No. 75), be extended from July 6, 2023, to July 20, 2023.
The parties request this brief extension to accommodate Plaintiff's counsel being out of the office due to falling ill.
This is Plaintiff's first request for an extension and this stipulation is submitted in good faith without the purpose of undue delay.
IT IS SO ORDERED.