Opinion
2:22-cv-01797-CDS-NJK
11-17-2022
David H. Krieger, Esq. Shawn W. Miller, Esq. KRIEGER LAW GROUP, LLC Attorney for Plaintiff John Pipes
David H. Krieger, Esq.
Shawn W. Miller, Esq.
KRIEGER LAW GROUP, LLC
Attorney for Plaintiff John Pipes
UNOPPOSED MOTION FOR EXTENSION OF TIME FOR DEFENDANT TRANS UNION LLC TO ANSWER OR RESPOND TO THE COMPLAINT
(FIRST REQUEST)
The current deadline for Defendant Trans Union, LLC (“Trans Union”) to answer or otherwise respond to the Complaint is November 21, 2022.
Plaintiff's counsel has been in communication with Trans Union's in-house counsel and has agreed to a thirty (30) day extension of time to December 21, 2022 for Trans Union to answer or otherwise respond to the Complaint. The purpose of the extension is to allow time for Trans Union to locate relevant files, retain local counsel to represent Trans Union in this matter, and to explore the possibility of early settlement. This is the first request for extension and is made for good cause and not for the purposes of delay.
ORDER GRANTING EXTENSION OF TIME
IT IS SO ORDERED.