Opinion
22-cv-00710-RFB-EJY
04-26-2023
Deanna L. Forbush FOX ROTHSCHILD LLP Attorneys for Plaintiff Keolis Transit America, Inc. WEINBERG, ROGER & ROSENFELD Tiffany L. Crain, Esq. Attorneys for Defendant, Teamsters Union Local 533
Deanna L. Forbush
FOX ROTHSCHILD LLP
Attorneys for Plaintiff Keolis Transit America, Inc.
WEINBERG, ROGER & ROSENFELD
Tiffany L. Crain, Esq.
Attorneys for Defendant, Teamsters Union Local 533
STIPULATION AND [PROPOSED] ORDER EXTENDING TIME TO RESPOND TO DEFENDANT TEAMSTERS UNION LOCAL 533'S MOTION FOR ATTORNEYS' FEES AND COSTS
(FIRST REQUEST)
Keolis Transit America, Inc. ("Plaintiff') and Teamsters Union, Local 533, ("Defendant"), by and through their undersigned counsel, hereby stipulate as follows:
WHEREAS, on April 24, 2023, Defendant filed a Notice of Motion and Motion for Attorneys' Fees and Costs ("Motion").
WHEREAS, Plaintiffs deadline to Respond to the Motion is May 8, 2023. Due to Plaintiffs counsel's preplanned travel schedule and concomitant unavailability until May 10, 2023, the Parties have agreed that Plaintiffs due date for any response to the Motion will be extended to May 22, 2023.
NOW THEREFORE, IT IS STIPULATED AND AGREED, by the Parties hereto, through their undersigned counsel, subject to approval of the Court, as follows:
1. Defendant's deadline to Respond to the Motion is extended until May 22, 2023.
IT IS SO ORDERED: