Opinion
2:23-cv-00002-TL
01-30-2023
ROB STAHNKE, an individual Plaintiff, v. CITY OF SEATTLE, a municipality; JENNY DURKIN, an individual; and BRUCE HARRELL, an individual, Defendants.
ANN DAVISON Seattle City Attorney Natasha Khanna Alexandra Nica, WSBA #58299 Natasha Khanna, WSBA #52870 Assistant City Attorneys Attorneys for Defendants LAW OFFICE OF FRANK S. HOMSHER Frank S. Homsher Frank S. Homsher, WSBA #26935 Law Office of Frank S. Homsher 510 Bell Street Attorney for Plaintiff Rob Stahnke
ANN DAVISON Seattle City Attorney
Natasha Khanna Alexandra Nica, WSBA #58299 Natasha Khanna, WSBA #52870 Assistant City Attorneys Attorneys for Defendants
LAW OFFICE OF FRANK S. HOMSHER Frank S. Homsher Frank S. Homsher, WSBA #26935 Law Office of Frank S. Homsher 510 Bell Street Attorney for Plaintiff Rob Stahnke
STIPULATED MOTION AND [PROPOSED] ORDER TO EXTEND DEFENDANTS' DEADLINE TO ANSWER
Tana Lin United States District Judge
STIPULATION
Plaintiff Rob Stahnke (“Plaintiff”) filed a Complaint for Damages (“Complaint”) on January 2, 2023 against named Defendants City of Seattle, Jenny Durkin, and Bruce Harrell (hereinafter “Defendants”). ECF No. 1. The parties move for additional time for Defendants to answer Plaintiff's Complaint from January 31, 2023 to March 2, 2023. Defendants would benefit from additional time to respond to Plaintiff's allegations. All parties stipulate and consent to this motion.
STIPULATED AND AGREED TO this 30th day of January, 2023.
Order
This matter having come before the Court on the foregoing Stipulation (Dkt. No. 8), and the Court having considered the Stipulation, and good cause appearing, grants the Stipulation. Defendants' answer to Plaintiff's complaint is due March 2, 2023.