Opinion
2:20-CV-00127-CDS-NJK
04-10-2023
SUNLIGHTEN, INC. Plaintiff v. FINNMARK DESIGN, LLC, Defendant
JONATHAN D. BLUM, ESQ., WILEY PETERSEN and JAMES J. KERNELL, ESQ. (Pro Hac Vice) KYLE D. DONNELLY, ESQ. (Pro Hac Vice) ERICKSON KERNELL IP, LLC Attorneys for Plaintiff Sunlighten, Inc. GILE LAW GROUP LTD., RYAN GILE, ESQ. Attorneys for Finnmark Design, LLC
JONATHAN D. BLUM, ESQ., WILEY PETERSEN and JAMES J. KERNELL, ESQ. (Pro Hac Vice) KYLE D. DONNELLY, ESQ. (Pro Hac Vice) ERICKSON KERNELL IP, LLC Attorneys for Plaintiff Sunlighten, Inc.
GILE LAW GROUP LTD., RYAN GILE, ESQ. Attorneys for Finnmark Design, LLC
STIPULATION AND ORDER TO EXTEND PRETRIAL ORDER DEADLINE [FIRST REQUEST]
Pursuant to Civil Practice Local Rule IA 6-1, Sunlighten, Inc. (“Sunlighten, Inc.” or “Plaintiff”) and Finnmark Designs, LLC (“Finnmark” or “Defendant”), by and through the undersigned counsel of record hereby stipulate and request the Court to extend the Pretrial Order deadline by two (2) weeks, from April 7, 2023 to April 21, 2023. The parties have been, and are continuing to work together collegially and in good faith to better define the issues for trial, agree upon facts and exhibits necessary, and coordinate with the clients' schedules. This is the first stipulation to extend the Pretrial Order Deadline.
The Parties agree that this Stipulation is submitted for good cause, and not for any improper purpose.
IT IS SO STIPULATED
ORDER
IT IS SO ORDERED, nunc pro tunc.