Opinion
2:22-cv-02123-RFB-EJY
02-16-2023
KRAVITZ SCHNITZER JOHNSON WATSON, CHTD. TYLER J. WATSON, ESQ. ATTORNEYS FOR STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY MICHAEL B. LEE, P.C. MICHAEL B. LEE, ESQ. ATTORNEYS FOR DEFENDANT THOMAS CLASSICS
KRAVITZ SCHNITZER JOHNSON WATSON, CHTD. TYLER J. WATSON, ESQ. ATTORNEYS FOR STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY
MICHAEL B. LEE, P.C. MICHAEL B. LEE, ESQ. ATTORNEYS FOR DEFENDANT THOMAS CLASSICS
SECOND STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT THOMAS CLASSICS TO FILE ITS ANSWER TO COMPLAINT
Plaintiff, STATE FARM MUTUAL AUTOMOBILE INSURANCE COMPANY (“Plaintiff”), by and through its counsel of record, KRAVITZ SCHNITZER JOHNSON & WATSON, CHTD., and Defendant, THOMAS CLASSICS, by and through its counsel of record, MICHAEL B. LEE, P.C., and hereby stipulate to extend the deadline for Defendant Thomas Classics' responsive pleading by thirty (30) days. The parties further stipulate that Defendant Thomas Classics will file its responsive pleading on or before February 28, 2023.
This stipulation is made in good faith and not for the purpose of delaying litigation. As a basis for this stipulation, MICHAEL B. LEE is serving as local counsel for Ohio corporation Thomas Classics', and Thomas Classics Verified Petition for Permission to Practice in this Only has been filed concurrently herewith and is currently pending with this Honorable Court. Also, this stipulated second extension will enable Thomas Classics to fully and fairly respond to all pleadings filed in this matter to date.
IT IS SO ORDERED.