Opinion
2:21-cv-01578-RFB-BNW
01-31-2022
Matthew L. Durham Nevada Bar No. 10342 KING & DURHAM PLLC Attorneys for Defendants BP SOLUTIONS LLC and AYR WELLNESS LLC GABROY LAW OFFICES Christian J. Gabroy, NV Bar No. 8805 Kaine M. Messer, NV Bar No. 14240 Attorneys for Plaintiff CHASE PAYNE
Matthew L. Durham Nevada Bar No. 10342
KING & DURHAM PLLCAttorneys for Defendants BP SOLUTIONS LLC and AYR WELLNESS LLC
GABROY LAW OFFICES
Christian J. Gabroy, NV Bar No. 8805
Kaine M. Messer, NV Bar No. 14240
Attorneys for Plaintiff CHASE PAYNE
STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO COMPLAINT (ECF NO. 1-1) (FIFTH REQUEST)
BRENDAWEKSLER UNITED STATES MAGISTRATE JUDGE
Chase Payne (“Plaintiff”) and Defendants BP Solutions LLC and Ayr Wellness Holdings LLC (“Defendants”) are exploring the possibility of an early resolution of this putative collective and class action. The parties submitted a Stipulated Confidentiality Order for Settlement Discussions and Data (ECF No. 15), Defendants have provided Plaintiff with confidential information to facilitate their settlement discussions, and the parties are having ongoing discussions in the hopes of reaching a resolution without the need for further litigation.
The current deadline for Defendants to respond to Plaintiff's complaint is February 1, 2022. The parties desire additional time before Defendants are required to respond to the complaint so they can continue their settlement discussions.
Therefore, Plaintiff and Defendants, by and through their respective counsel, hereby stipulate and agree that Defendants shall have an extension until March 17, 2022, to file their responses to Plaintiffs complaint. This is the fifth request for such an extension.
ORDER
IT IS SO ORDERED.