Opinion
2:23-cv-01158-GMN-NJK
10-17-2023
Robert P. Spretnak, Esq. Jeffrey Bendavid LAW OFFICES OF ROBERT P. SPETNAK BENDAVID LAW Beverly Virues, Esq. GARCIA-MENOCAL & PEREZ P.L.
Robert P. Spretnak, Esq.
Jeffrey Bendavid
LAW OFFICES OF ROBERT P. SPETNAK BENDAVID LAW
Beverly Virues, Esq.
GARCIA-MENOCAL & PEREZ P.L.
STIPULATION AND ORDER TO EXTEND TIME TO FILE DISCOVERY PLAN AND SCHEDULING ORDER
(First Request)
NANCY J. KOPPE, UNITED STATES MAGISTRATE JUDGE
Plaintiff, JOHN MEGGS (hereinafter “Plaintiff”), by and through his counsel of record, ROBERT P. SPRETNAK, ESQ. of the LAW OFFICES OF ROBERT P. SPRETNAK, and BEVERLY VIRUES, ESQ. of the LAW FIRM OF GARCIA-MENOCAL & PEREZ P. L. Defendant IRON FLAMINGO LLC by and through their counsel of record, JEFFERY A. BENDAVID, ESQ., of BENDAVID LAW, stipulate as follows:
The Parties Discovery Plan and Joint Scheduling Order is presently due on October 16, 2023. The Parties stipulate that Plaintiff may have an extension of time to file the Discovery Plan and Joint Scheduling Order up to and including November 3, 2023. Defendant YESHI MART LLC was served on October 1, 2023, but as of this filing Defendant YESHI MART LLC has not yet appeared. Defendant YESHI MART LLC's response to the Complaint is due on October 23, 2023. As Defendant YESHI MART LLC has not yet appeared, the Parties are not able to confer with Defendant YESHI MART LLC as to the Discovery Plan and Joint Scheduling Order.
Therefore, Plaintiff has requested an extension of eighteen (18) days up to and including November 3, 2023, to file the Parties Discovery Plan and Joint Scheduling Order.
IT IS SO ORDERED.