Opinion
2:22-cv-02163-APG-VCF
02-14-2023
Roger L. Grandgenett II, Esq. Kelsey E. Stegall, Esq. LITTLER MENDELSON, P.C. Attorneys for Defendant STAFFMARK INVESTMENT, LLC DANIEL R. WATKINS, ESQ. MELINDA WEAVER, ESQ. WATKINS & LETOFSKY, LLP Attorneys for Plaintiff ADELY RUIZ
Roger L. Grandgenett II, Esq.
Kelsey E. Stegall, Esq.
LITTLER MENDELSON, P.C.
Attorneys for Defendant
STAFFMARK INVESTMENT, LLC
DANIEL R. WATKINS, ESQ.
MELINDA WEAVER, ESQ.
WATKINS & LETOFSKY, LLP
Attorneys for Plaintiff
ADELY RUIZ
STIPULATION TO EXTEND TIME FOR DEFENDANT TO FILE A RESPONSIVE PLEADING TO PLAINTIFF'S AMENDED COMPLAINT
[FIRST REQUEST]
CAM FERENBACH, UNITED STATES MAGISTRATE JUDGE
Plaintiff ADELY RUIZ (“Plaintiff”), by and through her attorneys of record, Daniel Watkins, Esq. and Melinda Weaver of the firm of Watkins & Letofsky, LLP, and Defendant STAFFMARK INVESTMENT, LLC (“Staffmark”), by and through its attorneys of record, Littler Mendelson, hereby stipulate to extend the time for Staffmark to file a responsive pleading to Plaintiff's Amended Complaint from the current deadline of February 17, 2023, up to and including March 3, 2023.
This extension is necessary to provide adequate time for Defense counsel to become familiar with the allegations in the Amended Complaint, to investigate the facts of this matter, and to prepare a responsive pleading. This is the first request for an extension of time to respond to the Amended Complaint. This request is made in good faith and not for the purpose of delay.
IT IS SO ORDERED.