Opinion
2:22-cv-01990-ART-NJK
02-03-2023
HATFIELD & ASSOCIATES TREVOR J. HATFIELD, ESQ. (SBN 7373) Attorney for Plaintiff SALTZMANMUGAN DUSHOFF MATTHEW T. DUSHOFF (SBN 4975) WILL GONZALES (SBN 15230) Attorneys for Defendants
HATFIELD & ASSOCIATES
TREVOR J. HATFIELD, ESQ. (SBN 7373)
Attorney for Plaintiff
SALTZMANMUGAN DUSHOFF
MATTHEW T. DUSHOFF (SBN 4975)
WILL GONZALES (SBN 15230)
Attorneys for Defendants
ORDER APPROVING
STIPULATION TO EXTEND TIME FOR PLAINTIFF TO RESPOND TO DEFENDANT'S MOTION TO DISMISS OR, IN THE ALTERNATIVE, FOR SUMMARY JUDGMENT (FIRST REQUEST)
ANNER. TRAUM, UNITED STATES DISTRICT COURT JUDGE
COMES NOW, Plaintiff Julia Kidd (“Plaintiff”), by and through her counsel, the law (firm of Hatfield & Associates., Ltd., and Defendant University Medical Center of Southern I Nevada, (hereinafter “Defendants”) by and through their counsel, the law firm of SALTZMAN MUGAN DUSHOFF, and hereby stipulate and agree to extend the time for Plaintiff to Respond to Defendants' Motions to Dismiss or, in the Alternative, for Summary Judgment, due on February 2, 2023, to March 3, 2023. This request is submitted pursuant to LR IA 6-1, 6-2 and 7; 1 and is the parties' first request for an extension of time for Plaintiff to respond to Defendant's 1 Motion to Dismiss, or in the Alternative, for Summary Judgment [ECF #7]. Good cause exists for this extension. The motion is voluminous and will require additional time to prepare a response to, and Plaintiff provided a reciprocal extension of time to Defendant to prepare a response to the complaint.
Defendant has courteously agreed to this extension of time for Plaintiff to file her Response. Accordingly, Plaintiff shall have up to and including March 3, 2023, to respond to Defendants' Motions for Summary Judgment [ECF #7].
ORDER
IT IS SO ORDERED: