Opinion
2:23-CV-00146-JCM-NJK
02-21-2023
SNELL & WILMER L.L.P. By:, Tanya N. Lewis Kelly H. Dove Tanya N. Lewis Attorneys for Defendant Wells Fargo Bank, N.A. FREEDOM LAW FIRM By: Gerardo Avalos George Haines Esq. Gerardo Avalos Esq. Attorney for Plaintiff *e-signed with permission via email
SNELL & WILMER L.L.P. By:, Tanya N. Lewis Kelly H. Dove Tanya N. Lewis Attorneys for Defendant Wells Fargo Bank, N.A.
FREEDOM LAW FIRM By: Gerardo Avalos George Haines Esq. Gerardo Avalos Esq. Attorney for Plaintiff *e-signed with permission via email
STIPULATION AND ORDER TO EXTEND DEFENDANT WELLS FARGO BANK, N.A.'S TIME TO RESPOND TO PLAINTIFF'S COMPLAINT
(FIRST REQUEST)
It is hereby stipulated by and between Plaintiff Jessey Presher (“Plaintiff'), through his attorneys, George Haines and Gerardo Avalos, and Defendant Wells Fargo Bank, N.A. (“Wells Fargo”), through its attorneys, the law firm of Snell & Wilmer L.L.P., as follows:
Wells Fargo's current deadline to respond to the Complaint is February 21, 2023. In the interest of conserving client and judicial resources, Plaintiff and Wells Fargo stipulate and agree that Wells Fargo shall have an extension until March 14, 2023, in which to file its responsive pleading.
This is based on the service date of January 31,2023.
This is the parties' first request for an extension of time to respond to the Complaint, and is not intended to cause any delay or prejudice to any party, but is requested for good cause and so that Wells Fargo can have adequate time to prepare its response.
ORDER
IT IS HEREBY ORDERED THAT Wells Fargo's time to respond to Plaintiff's Complaint is extended to March 14, 2023.
IT IS SO ORDERED.