Opinion
2:23-cv-01201-GMN-EJY
08-31-2023
Aaron D. Shipley (NSBN 8258) Karyna M. Armstrong (NSBN 16044) McDONALD CARANO LLP Attorneys for Defendant Capital One, N.A., erroneously sued as “Capital One Bank, N.A.” George Haines (NSBN 9411) Gerardo Avalos (NSBN 15171) Attorneys for Plaintiff
Aaron D. Shipley (NSBN 8258)
Karyna M. Armstrong (NSBN 16044)
McDONALD CARANO LLP
Attorneys for Defendant Capital One, N.A., erroneously sued as “Capital One Bank, N.A.”
George Haines (NSBN 9411)
Gerardo Avalos (NSBN 15171)
Attorneys for Plaintiff
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT CAPITAL ONE BANK, N.A. TO FILE RESPONSIVE PLEADINGS TO COMPLAINT
(FIRST REQUEST)
Pursuant to Local Rules 6-1 and 6-2, Plaintiff Jodie Lasky (“Lasky”) and Defendant Capital One, N.A., erroneously sued as “Capital One Bank, N.A.,” (“Capital One” and together with Lasky, the “Parties”) stipulate and agree as follows:
WHEREAS:
1. Defendant's current deadline to file responsive pleadings to the Complaint is August 29, 2023.
2. Immediately upon being retained by Capital One, on the afternoon of August 28, 2023, defense counsel reached out to Plaintiff's counsel to request additional time to file a responsive pleading.
3. The Parties agreed that good cause exists to extend the responsive pleading deadline by an additional thirty (30) days to allow the newly engaged defense counsel to obtain and review a copy of the file and gather additional facts and information while continuing to devote resources to exploring the potential for early resolution of this matter; and
4. The Parties agree to extend the deadline for Defendant to file responsive pleadings to the Complaint to September 28, 2023.
5. This stipulation is made in good faith and not for the purpose of delay.
NOW, THEREFORE, IT IS HEREBY STIPULATED THAT:
Capital One's time to file a responsive pleading to Plaintiff's Complaint is extended. Capital One shall file its responsive pleading on or before September 28, 2023.
IT IS SO ORDERED.