Opinion
2:23-cv-00036-MMD-DJA
01-30-2023
EDWARD MERCHANT, Plaintiff, v. NISSAN MOTOR ACCEPTANCE COMPANY, LLC; EXPERIAN INFORMATION SOLUTIONS, INC.; EQUIFAX INFORMATION SERVICES, LLC; and TRANS UNION LLC, Defendants.
Naylor & Braster Jennifer L. Braster Benjamin B. Gordon Cheryl O'Connor JONES DAY Attorneys for Defendant Experian Information Solutions, Inc. Price Law Group Tarek N. Chami Attorneys for Plaintiff Edward Merchant
Complaint Filed: 01/06/2023
Naylor & Braster
Jennifer L. Braster
Benjamin B. Gordon
Cheryl O'Connor
JONES DAY
Attorneys for Defendant Experian Information Solutions, Inc.
Price Law Group
Tarek N. Chami
Attorneys for Plaintiff Edward Merchant
DEFENDANT EXPERIAN INFORMATION SOLUTIONS, INC. AND PLAINTIFF'S STIPULATION TO EXTEND TIME TO ANSWER COMPLAINT
Defendant Experian Information Solutions, Inc. (“Experian”) and Plaintiff Edward Merchant (“Plaintiff”), by and through their respective counsel of record, hereby submit this stipulation to extend the time for Experian to respond to Plaintiff's Complaint (ECF No. 1) pursuant to LR IA 6-1.
Plaintiff filed his Complaint on January 6, 2023, and currently, Experian's responsive pleading is due January 31, 2023. (ECF No. 1.) The first extension will allow Experian an opportunity to investigate the facts of this case and to avoid the incurrence of additional attorneys' fees when this matter may be resolved shortly. Plaintiff and Experian stipulate and agree that Experian shall have an extension until February 21, 2023, to file its responsive pleading.
This is Experian's first request for an extension of time to respond to the Complaint and is not intended to cause any delay or prejudice any party, but to permit both Plaintiff and Experian an opportunity to more fully investigate the claims alleged.
IT IS SO STIPULATED.
IT IS SO ORDERED.