Opinion
2:23-cv-01155-APG-DJA
10-23-2023
LIPSON NEILSON P.C. JOSEPH P. GARIN, ESQ. Attorneys for Defendant Comenity Capital Bank N.A. FREEDOM LAW FIRM GEORGE HAINES, ESQ. GERARDO AVALOS, ESQ. Attorneys for Plaintiff
LIPSON NEILSON P.C.
JOSEPH P. GARIN, ESQ.
Attorneys for Defendant Comenity Capital Bank N.A.
FREEDOM LAW FIRM
GEORGE HAINES, ESQ.
GERARDO AVALOS, ESQ.
Attorneys for Plaintiff
JOINT UNOPPOSED MOTION TO EXTEND DEADLINE FOR DEFENDANT COMENITY CAPITAL BANK N.A. TO RESPOND TO COMPLAINT
(FIRST REQUEST)
Pursuant to Federal Rule of Civil Procedure 6(b)(1)(A) and Local Rule IA 6-1, Defendant Comenity Capital Bank N.A. (“Comenity”) and Plaintiff Kay Aguero (“Plaintiff”), by and through their respective counsel, request that the Court grant their Joint Unopposed Motion to Extend the Time for Comenity to answer or otherwise respond to Plaintiff's Complaint. In support of this Motion, the parties stipulate as follows:
1. The Complaint was served on Comenity on July 26, 2023, via CT Corporation.
2. There was a delay in CT Corporation delivering the Complaint to Comenity.
3. Comenity hired new counsel, Joseph Garin of Lipson Neilson P.C., on September 28, 2023.
4. The parties met and conferred about the extension of time to respond to the Complaint and agreed that Comenity's deadline to respond to the Complaint shall be extended to October 30, 2023.
5. There have been no prior extensions of Comenity's deadline to respond to the Complaint, 6. Accordingly, the parties respectfully and jointly request that the Court extend the deadline for Comenity to answer or otherwise respond to the Complaint to October 30, 2023.
IT IS SO STIPULATED.
ORDER
IT IS SO ORDERED.