Opinion
2:21-cv-00668-JCM-VCF
12-22-2022
John D. Tennert III (SBN 11728) Wade Beavers (SBN 13451) Geenamarie Carucci Vance (SBN 15393) FENNEMORE CRAIG, P.C. Attorneys for Defendant GR U.S. Licensing, LP Paul Williams (with permission) John R. Bailey (SBN 137) Dennis L. Kennedy (SBN 1462) Joshua P. Gilmore (SBN 11576) Paul C. Williams (SBN 12524) Attorneys for Plaintiff Rowen Seibel
John D. Tennert III (SBN 11728) Wade Beavers (SBN 13451) Geenamarie Carucci Vance (SBN 15393) FENNEMORE CRAIG, P.C. Attorneys for Defendant GR U.S. Licensing, LP
Paul Williams (with permission) John R. Bailey (SBN 137) Dennis L. Kennedy (SBN 1462) Joshua P. Gilmore (SBN 11576) Paul C. Williams (SBN 12524) Attorneys for Plaintiff Rowen Seibel
STIPULATION AND ORDER TO EXTEND TIME TO FILE AN ANSWER TO FIRST AMENDED COMPLAINT (FIRST REQUEST)
Pursuant to LR IA 6-1, Plaintiff Rowen Seibel (“Seibel”) and Defendant GR U.S. Licensing LP (“GRUS”) (collectively, the “Parties”) stipulate and agree as follows:
1. On November 2, 2021, Seibel filed his First Amended Complaint (ECF No. 32).
2. On November 16, 2021, GRUS filed its Motion to Dismiss (ECF No. 34).
3. On December 9, 2022, the Court entered its Order granting, in part, and denying in part, GRUS's Motion to Dismiss (ECF No. 45).
4. Pursuant to FRCP 12(a)(4)(A), the deadline for GRUS to file and serve its Answer to the First Amended Complaint is December 23, 2022.
5. The Parties stipulate that the deadline for GRUS to file its Answer to the First Amended Complaint shall be extended from December 23, 2022 to January 6, 2023.
6. Good cause exists to extend the briefing schedule on GRUS' Answer to the First Amended Complaint as set forth herein to allow GRUS adequate time to fully and adequately prepare its Answer.
7. This is the first request to extend the time for GRUS to file its Answer to the First
Amended Complaint. This extension is sought in good faith and not for purposes of unduly delaying discovery or trial.
IT IS SO STIPULATED.
Dated: December 22, 2022.
IT IS SO ORDERED.