Opinion
2:21-cv-02143-RFB-VCF
10-06-2022
KEMP & KEMP, ATTORNEYS AT LAW James P. Kemp, State Bar No. 6375 Victoria L. Neal, State Bar No. 13382 Attorney for Plaintiff Dennis Meng JACKSON LEWIS P.C. Deverie J. Christensen, State Bar No.6596 Kyle J. Hoyt, State Bar No. 14886 Attorneys for Defendant Simoniz USA, Inc.
KEMP & KEMP, ATTORNEYS AT LAW James P. Kemp, State Bar No. 6375 Victoria L. Neal, State Bar No. 13382 Attorney for Plaintiff Dennis Meng
JACKSON LEWIS P.C. Deverie J. Christensen, State Bar No.6596 Kyle J. Hoyt, State Bar No. 14886 Attorneys for Defendant Simoniz USA, Inc.
STIPULATION AND ORDER TO CORRECT DISPOSITIVE MOTION DEADLINES AND SCHEDULING ORDER
IT IS HEREBY STIPULATED by and between Defendant Simoniz USA, Inc. (“Defendant”) by and through its counsel of record, Jackson Lewis, P.C., and Plaintiff Dennis Meng (“Plaintiff”), by and through his counsel Kemp & Kemp, as follows:
1. On August 9, 2022, the Court entered an Order granting the Stipulated Discovery Plan and Scheduling Order submitted by the parties. ECF No. 21. Discovery is currently set to close December 6, 2022. Id. at 4:11-14.
2. In the prior stipulation, the parties intended to extend all deadlines in the existing scheduling order by 90 days. Id. at 3:3-5; 4:15-16. However, the stipulation and proposed order inadvertently identified October 9, 2022 as the deadline for dispositive motions, which is before the close of discovery.
3. The parties now seek that the dispositive motion deadline be corrected to January 5, 2023 which is 30 days following the close of discovery.
This stipulation and order is sought in good faith and not for the purpose of delay.
ORDER
IT IS SO ORDERED