Opinion
2:23-cv-00554-GMN-EJY
04-18-2023
SPENCER FANE, LLP Mary E. Bacon, Esq. (Nevada Bar No. 12686) Jessica E. Chong, Esq. (NV Bar No. 13845) Attorneys for Defendant USAA Casualty Insurance Company THE POWELL LAW FIRM Paul D. Powell, Esq. (Nevada Bar No. 7488) Traysen N. Turner, Esq. (Nevada Bar No. 16017) Attorneys for Plaintiff
SPENCER FANE, LLP
Mary E. Bacon, Esq. (Nevada Bar No. 12686)
Jessica E. Chong, Esq. (NV Bar No. 13845)
Attorneys for Defendant USAA Casualty Insurance Company
THE POWELL LAW FIRM
Paul D. Powell, Esq. (Nevada Bar No. 7488)
Traysen N. Turner, Esq. (Nevada Bar No. 16017)
Attorneys for Plaintiff
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT USAA CASUALTY INSURANCE COMPANY TO FILE RESPONSIVE PLEADING TO PLAINTIFF'S COMPLAINT
Plaintiff, Christopher Ortiz (“Plaintiff”), and Defendant, USAA Casualty Insurance Company (“Defendant”) have agreed to extend the time for Defendant to Respond to Plaintiff's Complaint for two weeks, from April 19, 2023 to May 3, 2023. Plaintiff filed his complaint on March 10, 2023 and Defendant was served on March 13, 2023. This is the parties' first stipulation to extend Defendant's time to respond to the Complaint.
The parties request this brief extension to accommodate Defendant's counsel being on maternity leave. Defendant's counsel returns to the office on or about May 8, 2023.
This request is made in good faith and not for the purpose of delay.
ORDER
IT IS SO ORDERED.