Opinion
2:22-cv-00232-CDS-EJY
07-13-2023
RAY QUINNEY & NEBEKER P.C. Z.Ryan Pahnke Attorney for Plaintiff David J. Malley Designated counsel pursuant to LR IA 11-1(b)
RAY QUINNEY & NEBEKER P.C. Z.Ryan Pahnke Attorney for Plaintiff
David J. Malley Designated counsel pursuant to LR IA 11-1(b)
ORDER GRANTING MOTION TO EXTEND THE DEADLINE TO RESPOND TO TWO MOTIONS TO DISMISS
(FIRST REQUEST)
[ECF NO. 43]
Plaintiff Smart Rain Systems, LLC (“Smart Rain”), through its undersigned counsel, based on good cause, seeks a two-week extension, up to, through and including August 4, 2023, in which to file a response to Defendant Bauer North America, Inc.'s Motion to Dismiss for Lack of Personal Jurisdiction and Failure to State a Claim [Dkt. 41] and Defendant Rohren -und Pumpenwerk Bauer Ges.m.b.H.'s Motion to Dismiss for Lack of Personal Jurisdiction and Failure to State a Claim [Dkt. 42] (“Motions”), which were filed on July 7, 2023. Smart Rain' s counsel had just started a trial in St. George Utah on July 6, 2023, scheduled to July 19, 2023, when the Motions were filed and requires additional time to respond to the Motions. Smart Rain's current deadline to respond to the Motions is July 21, 2023. Smart Rain's counsel requested a stipulation to extend the deadline on July 10 and has not received any response from opposing counsel.
The reason for the extension is not for purposes of delay or to cause prejudice to any party, but to allow counsel for Smart Rain adequate time to respond. This is Smart Rain's first request for such an extension from the Court regarding these Motions. This request complies with Local Rules IA 6-1, IA 6-2 and IA 7-1.
ORDER
IT IS SO ORDERED.