Opinion
3:21-cv-00237-MMD-CLB
02-09-2023
Hutchison & Steffen, PLLC Jason D. Guinasso, Esq. Todd W. Prall, Esq., Attorneys for Defendant CF USA, Inc. and Counterclaimants CF USA, Inc. and CF Global Holdings, Inc Hall Prangle & Schoonveld, LLC Mari K. Schaan, Esq. Nathan R. Reinmiller, Esq. Attorneys for Plaintiff and Counter-Defendant Leach Logistics, Inc.
Hutchison & Steffen, PLLC Jason D. Guinasso, Esq. Todd W. Prall, Esq., Attorneys for Defendant CF USA, Inc. and Counterclaimants CF USA, Inc. and CF Global Holdings, Inc
Hall Prangle & Schoonveld, LLC Mari K. Schaan, Esq. Nathan R. Reinmiller, Esq. Attorneys for Plaintiff and Counter-Defendant Leach Logistics, Inc.
STIPULATION AND ORDER TO EXTEND TIME TO FILE A REPLY IN SUPPORT OF COUNTERDEFENDANT LEACH LOGISTICS'S MOTION PURSUANT TO FRCP 12 TO DISMISS, STRIKE, AND/OR FOR MORE DEFINITE STATEMENT [ECF 100]
Plaintiff/Counter-Defendant Leach Logistics, Inc. (“Plaintiff” or “Leach Logistics”), by and through its counsel of record and Defendant/Counter-Claimant CF USA, Inc., by and through its counsel of record hereby stipulate and agree, pursuant to Federal Rules of Civil Procedure 6(b) and Civil Local Rule IA 6-1, to extend the deadline for Plaintiff/Counter- Defendant to file a Reply in Support of its Motion To Dismiss (ECF 100) to February 23, 2023. This Stipulation is based on the following:
1. Due to an unforeseeable and unanticipated increase in the current workload of Plaintiff/Counter-Defendants attorneys, the Parties hereby stipulate and agree to extend the deadline for 10 days for Plaintiff/Counter-Defendant to file a Reply in support of its Motion to Dismiss (ECF 100). Therefore, the Parties stipulate and agree that Plaintiff/Counter-Defendant should have through and including February 23, 2023, in which to file a Reply in Support of its Motion To Dismiss (ECF 100).
2. This Stipulation is made in good faith and is not for the purpose of delay.
IT IS SO ORDERED.