Opinion
2:22-cv-00626-GMN-EJY
04-24-2023
HANKS LAW GROUP, Karen L. Hanks, Esq., Chantel M. Schimming, Esq. Attorneys for Plaintiff, SFR Investments Pool 1, LLC WRIGHT, FINLAY & ZAK, LLP, Darren T. Brenner, Esq., Yanxiong Li, Esq. Attorneys for Non-Party Bank of America, N.A.
HANKS LAW GROUP, Karen L. Hanks, Esq., Chantel M. Schimming, Esq. Attorneys for Plaintiff, SFR Investments Pool 1, LLC
WRIGHT, FINLAY & ZAK, LLP, Darren T. Brenner, Esq., Yanxiong Li, Esq. Attorneys for Non-Party Bank of America, N.A.
STIPULATION AND ORDER TO EXTEND BRIEFING SCHEDULE (SECOND REQUEST)
Non-party, Bank of America, N.A. (“BANA”) and Plaintiff, SFR Investments Pool 1, LLC (“SFR” and together with BANA, hereafter as the “Parties”) stipulate and agree that BANA shall have an additional day from the current deadline of April 24, 2023, up to and including April 25, 2023, to respond to SFR's Motion to Compel Compliance with Subpoena/Hold BANA in Contempt [ECF No. 73].
Parties further agree that any reply brief SFR desires to file in support of said Motion shall be due by May 2, 2023.
BANA has agreed to the production of documents to resolve the pending Motion to Compel but requires additional time to address issues concerning the purported confidentiality of that production.
This is the parties' second request for an extension of this deadline, and is not submitted to cause any undue delay or prejudice.
IT IS SO ORDERED.