Opinion
2:22-cv-02163-APG-VCF
02-17-2023
Deverie J. Christensen Nevada State Bar No. 6596 Lynne K. McChrystal Nevada State Bar No. 14739 JACKSON LEWIS P.C. Attorney for Defendant Performance Food Group, Inc. WATKINS & LETOFSKY, LLP DANIEL R. WATKINS Nevada Bar No. 11881 MELINDA WEAVER, ESQ. Nevada Bar No. 11481 Attorney for Plaintiff Adely Ruiz
Deverie J. Christensen Nevada State Bar No. 6596
Lynne K. McChrystal
Nevada State Bar No. 14739
JACKSON LEWIS P.C.
Attorney for Defendant Performance Food Group, Inc.
WATKINS & LETOFSKY, LLP
DANIEL R. WATKINS Nevada Bar No. 11881
MELINDA WEAVER, ESQ. Nevada Bar No. 11481
Attorney for Plaintiff Adely Ruiz
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT TO RESPOND TO PLAINTIFF'S FIRST AMENDED COMPLAINT (FIRST REQUEST)
IT IS HEREBY STIPULATED by and between Plaintiff Adely Ruiz (“Plaintiff'), through her counsel, Watkins & Letofsky, LLP., and Defendant Performance Food Group, Inc. (“Defendant”), through their counsel Jackson Lewis P.C., that Defendant shall have an extension up to and including March 3, 2023 in which to file its response to Plaintiff's First Amended Complaint (ECF No. 6). This Stipulation is submitted and based upon the following:
1. Defendant's response to the First Amended Complaint (ECF No. 6) is currently due on February 17, 2023.
2. Defendants shall have until March 3, 2023 to file a response to the First Amended Complaint (ECF No. 6).
3. This is the first request for an extension of time for Defendant to file a response to Plaintiff's First Amended Complaint (ECF No. 6).
4. This request is made in good faith and not for the purpose of delay.
5. Nothing in this Stipulation, nor the fact of entering to the same, shall have the effect of or be construed as waiving any claim or defense held by any party hereto.
ORDER
IT IS SO ORDERED.