Opinion
MC23-0084-JCC-SKV
12-19-2023
SEYFARTH SHAW LLP N. Joseph Wonderly, WSBA No. 51925 Counsel for Respondent US DEPARTMENT OF LABOR Tara Stearns, Counsel for Petitioner
SEYFARTH SHAW LLP N. Joseph Wonderly, WSBA No. 51925 Counsel for Respondent
US DEPARTMENT OF LABOR Tara Stearns, Counsel for Petitioner
STIPULATED MOTION TO MODIFY SHOW CAUSE ORDER DEADLINES
S. KATE VAUGHAN UNITED STATES MAGISTRATE JUDGE
In accordance with Federal Rule of Civil Procedure 6(b) and LCR 7(d)(1), the parties respectfully move to modify the deadlines set forth in the Order to Show Cause issued on December 14, 2023. Dkt. No. 3. The parties request that those deadlines be modified as follows:
(1) Amazon's Response: Current Deadline: January 12, 2023; Proposed Deadline: January 31, 2024.
(2) Petitioner's Reply: Current Deadline: January 26, 2024; Proposed Deadline: February 21, 2024.
Good cause exists because lead counsel for Amazon will be traveling on a pre-planned holiday vacation between December 21, 2023, and January 2, 2024. The additional time also is also necessary to enable Amazon to effectively evaluate and respond to Petitioner's claims, and to allow Petitioner sufficient time to prepare it reply brief. The requested extension is brief, not made for purposes of delay, and will not prejudice either party.
Respectfully submitted this December 19, 2023.
[PROPOSED] ORDER
IT IS SO ORDERED