Opinion
2:20-cv-00579-JCM-EJY
07-24-2023
CONSUMER ATTORNEYS, PLC VC2 LAW Tarek N. Chami Garrett R. Chase, Esq. Michael Yancy III,
CONSUMER ATTORNEYS, PLC
VC2 LAW
Tarek N. Chami
Garrett R. Chase, Esq.
Michael Yancy III,
STIPULATION AND ORDER TO EXTEND TIME TO FILE RESPONSE TO DEFENDANT'S MOTIONS IN LIMINE
Plaintiff Mark Smitherman (“Plaintiff”) and Defendant PlusFour, Inc. (“Defendant”, collectively the “Parties”) hereby stipulate, through their respective undersigned counsel, to extend Plaintiff's time to respond to Defendant's Motions in Limine (see Doc. 75, 76, 77 and 78) through September 29, 2023. Additionally, the Parties stipulate that they shall have until September 15, 2023 to file any additional motions in limine they deem appropriate.
IT IS SO ORDERED: