Opinion
2:19-cv-01896-KJD-VCF
10-26-2022
HATFIELD & ASSOCIATES, LTD. Trevor J. Hatfield, Esq. (SBN 7373) Attorney for Plaintiff FENNEMORE CRAIG, P.C. Shannon S. Pierce, Esq., (SBN 12471) Attorneys for Defendant Caesars Entertainment Corporation
HATFIELD & ASSOCIATES, LTD. Trevor J. Hatfield, Esq. (SBN 7373) Attorney for Plaintiff
FENNEMORE CRAIG, P.C. Shannon S. Pierce, Esq., (SBN 12471) Attorneys for Defendant Caesars Entertainment Corporation
STIPULATION AND ORDER TO EXTEND TIME TO FILE REPLY IN SUPPORT OF MOTION FOR SUMMARY JUDGMENT (ECF No. 70)
(FIRST REQUEST)
Plaintiff STANLEY E. STILLWELL, JR., (“Plaintiff”), by and through his counsel of record, Trevor J. Hatfield, Esq., of the law firm of Hatfield & Associates, Ltd., and Defendant CAESARS ENTERTAINMENT CORPORATION (“Defendant”), by and through its counsel, Shannon S. Pierce, Esq., of the law firm of Fennemore Craig, P.C., do hereby stipulate and agree to extend time for Defendant to submit its reply in support of its Motion For Summary Judgment (ECF No. 70). This request is submitted pursuant to LR IA 6-1, 6-2 and LR 7-1 and is the parties' first request for an extension of the reply deadline referenced above.
Good cause exists for this extension. Originally, Plaintiff's opposition to ECF No. 70 was due in August 2022. After Plaintiff requested and received three extensions of this deadline, on October 12, 2022, Plaintiff submitted his opposition to ECF No. 70. This changed timeline caused Defendant's reply deadline to conflict with other pressing deadlines impacting the availability of defense counsel. Defense counsel needs one additional week, through November 2, 2022, to complete and submit the reply brief.
Accordingly, Defendant shall have up to and including November 2, 2022, to submit its reply in support of its Motion for Summary Judgment (ECF No. 70).
IT IS SO STIPULATED.
IT IS SO ORDERED.