Opinion
2:19-cv-01739-JCM-DJA
08-31-2022
RUSSELL LEBARRON, an individual, Plaintiff, v. INTERSTATE GROUP, LLC; DOES I THROUGH X; and ROE Corporations XI through XX, inclusive, Defendant. INTERSTATE GROUP, LLC, Counterclaimant, v. RUSSELL LEBARRON, Counter-Defendant.
GABROY /MESSER Christian Gabroy (SBN 8805) Kaine Messer (SBN 14240) The District at Green Valley Ranch Attorneys for Plaintiff/Counter-Defendant HEJMANOWSKI & McCREA LLC Malani Kotchka (SBN 0283) Attorneys for Defendant/Counterclaimant Interstate Group, LLC
GABROY /MESSER Christian Gabroy (SBN 8805) Kaine Messer (SBN 14240) The District at Green Valley Ranch Attorneys for Plaintiff/Counter-Defendant
HEJMANOWSKI & McCREA LLC Malani Kotchka (SBN 0283) Attorneys for Defendant/Counterclaimant Interstate Group, LLC
STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO PLAINTIFF'S MOTION FOR ATTORNEYS' FEES AND COSTS
Plaintiff Russell LeBarron, and Defendant Interstate Group, LLC ("Interstate"), by and through their undersigned counsel, hereby stipulate and agree that Interstate may have through September 2, 2022 to file its response to Plaintiffs Motion for Attorneys' Fees and Costs (ECF No. 130). This is the first stipulation for the extension of time to file a response. This request is being made because the attorney for Defendant has been testifying in a sexual harassment trial in federal court. The Defendant is not seeking this extension for the purpose of delay.
ORDER
IT IS SO ORDERED.