Opinion
2:22-cv-01806-MMD-VCF
12-02-2022
LEE, LANDRUM & INGLE David S. Lee, Esq Attorneys for Defendant/Cross-Defendant Wolff Principal Holdings, LP dba Fremont & 9th Apartments EVANS FEARS & SCHUTTERT LLP Jay J. Schuttert, Esq. . Alexandria L. Layton, Esq. Paige S. Silva, Esq. Attorneys for Defendant/Cross-Claimant Schindler Elevator Corporation
LEE, LANDRUM & INGLE David S. Lee, Esq Attorneys for Defendant/Cross-Defendant Wolff Principal Holdings, LP dba Fremont & 9th Apartments
EVANS FEARS & SCHUTTERT LLP Jay J. Schuttert, Esq. . Alexandria L. Layton, Esq. Paige S. Silva, Esq. Attorneys for Defendant/Cross-Claimant Schindler Elevator Corporation
JOINT STIPULATION FOR EXTENSION OF TIME FOR CROSSDEFENDANT SCHINDLER ELEVATOR CORPORATION TO RESPOND TO CROSS-CLAIMANT WOLFF PRINCIPAL HOLDINGS, LP'S CROSS-COMPLAINT (FIRST REQUEST)
IT IS HEREBY STIPULATED AND AGREED, by and between Cross-Claimant Wolff Principal Holdings, LP (“Wolff') and Cross-Defendant Schindler Elevator Corporation (“Schindler”), through their respective counsel, that the time for Schindler to respond to the Cross-Complaint is extended by 14 days, from December 5, 2022 to December 19, 2022. This is the first such request by the parties.
This extension request is necessary for the parties to evaluate the Cross-Complaint and investigate the facts underlying Wolffs cross-claims. Accordingly, for good cause showing, the parties have agreed to an extension of time, up to and including December 19, 2022 for Cross-Defendant Schindler Elevator Corporation to respond to the Cross-Complaint.
ORDER
IT IS SO ORDERED.