Opinion
2:23-cv-00450-RFB-EJY
04-10-2023
FABIAN SALAZAR, individually, Plaintiff, v. ACE AMERICAN INSURANCE COMPANY, a Foreign Corporation; DOES 1 through 10; ROE BUSNIESS ENTITIES 1 through 10, inclusive Defendants.
YVONNE RUIZ, ESQ. MARZOLA & RUIZ LAW GROUP PLLC Attorneys for Plaintiff CLYDE & CO U.S. LLP Amy M. Samberg (NV Bar No. 10212) Dylan P. Todd (NV Bar No. 10456) Attorneys for Defendant ACE American Insurance Company
YVONNE RUIZ, ESQ.
MARZOLA & RUIZ LAW GROUP PLLC
Attorneys for Plaintiff
CLYDE & CO U.S. LLP
Amy M. Samberg (NV Bar No. 10212)
Dylan P. Todd (NV Bar No. 10456)
Attorneys for Defendant
ACE American Insurance Company
STIPULATION AND ORDER TO EXTEND TIME TO FILE RESPONSE TO PLAINTIFF'S COMPLAINT
(SECOND REQUEST)
Defendant ACE American Insurance Company (“ACE”) and Plaintiff Fabian Salazar, by and through their attorneys, hereby stipulate and request that the Court extend time to respond to Plaintiff's Complaint. The parties have stipulated to extend the response deadline to April 14, 2023.
The parties are currently in settlement negotiations. The extension of time may help the parties work out the specific terms and conditions to come a settlement.
ORDER
IT IS HEREBY ORDERED that the parties' Stipulation for Extension of Time to extend the time for ACE to file a response to Plaintiff's Complaint on or before April 14, 2023 is granted.