Opinion
2:23-cv-00210-JLR
06-09-2023
MORGAN, LEWIS & BOCKIUS LLP Patricia A. Eakes, WSBA No. 18888 Andrew DeCarlow, WSBA No. 54471 Counsel for Defendants DELUE LAW PLLC Daniel D. DeLue, WSBA No. 29357 OLIVER LAW GROUP P.C. Alyson Oliver (Admitted pro hac vice) Counsel for Plaintiff
Noted for Consideration: June 8, 2023
MORGAN, LEWIS & BOCKIUS LLP Patricia A. Eakes, WSBA No. 18888 Andrew DeCarlow, WSBA No. 54471 Counsel for Defendants
DELUE LAW PLLC Daniel D. DeLue, WSBA No. 29357 OLIVER LAW GROUP P.C. Alyson Oliver (Admitted pro hac vice) Counsel for Plaintiff
STIPULATION TO EXTEND CASE SCHEDULE DEADLINES
HONORABLE JAMES L. ROBART UNITED STATES DISTRICT JUDGE
Whereas, counsel for the Parties have conferred and agreed on extending initial case schedule deadlines (Dkt. No. 9) until after resolution of Defendants' forthcoming motion to dismiss, which Defendants will file on or before their deadline to do so on June 19, 2023.
Therefore, the Parties stipulate and agree, and jointly move this Court, for an order suspending the initial case schedule deadlines in this matter (Dkt. No. 9), including deadlines for the Fed.R.Civ.P. 26(f) Conference, Initial Disclosures, and the Joint Status Report, until after the Court's decision on the forthcoming Motion to Dismiss Plaintiff's Amended Complaint. The interests of judicial economy are best served if the Parties do not proceed with prosecuting their claims and/or defenses while the potential of dismissal of this action is unresolved. Within 21 days of the Court's order on the forthcoming Motion to Dismiss, the Parties shall confer and propose new deadlines-if applicable-for the Fed.R.Civ.P. 26(f) Conference, Initial Disclosures, and the Joint Status Report.
IT IS SO STIPULATED.
[PROPOSED] ORDER
IT IS SO ORDERED.