Opinion
3:23-CV-00292-LRH-CSD
08-23-2023
FISHER & PHILLIPS LLP ALLISON L. KHEEL, ESQ. Nevada Bar No. 12986 Attorney for Plaintiff/Counterdefendant, TruGreen Limited Partnership, Daniel F. Lanciloti, Esq. Ill. ARDC No. 6225408 One of the Attorneys for Plaintiff/Counterdefendant, Shane Stover, Esq. Ill. ARDC No. 6342857 One of the Attorneys for Plaintiff/Counterdefendant THE GILMORE LAW GROUP, PLLC Frank C. Gilmore Nevada Bar No. 10052 BAKER, DONELSON, BEARMAN, CALDWELL &BERKOWITZ, PC. Adam S. Baldridge, Esq. TN Bar No. 23488 One of the Attorneys for Plaintiff/Counterdefendant
FISHER & PHILLIPS LLP ALLISON L. KHEEL, ESQ. Nevada Bar No. 12986 Attorney for Plaintiff/Counterdefendant, TruGreen Limited Partnership, Daniel F. Lanciloti, Esq. Ill. ARDC No. 6225408 One of the Attorneys for Plaintiff/Counterdefendant, Shane Stover, Esq. Ill. ARDC No. 6342857 One of the Attorneys for Plaintiff/Counterdefendant
THE GILMORE LAW GROUP, PLLC Frank C. Gilmore Nevada Bar No. 10052
BAKER, DONELSON, BEARMAN, CALDWELL &BERKOWITZ, PC. Adam S. Baldridge, Esq. TN Bar No. 23488 One of the Attorneys for Plaintiff/Counterdefendant
STIPULATION AND ORDER EXTENDING TIME FOR COUNTERDEFENDANT TO ANSWER OR OTHERWISE RESPOND TO COUNTERCLAIMS (FIRST REQUEST)
IT IS HEREBY STIPULATED AND AGREED by the parties' counsel of record that Counterdefendant shall have an extension of time up to and including September 14, 2023, to respond to the Counterclaims on file herein. This Stipulation is made in accordance with LR 6-1, LR 6-2, and LR 7-1 of the Local Rules of this Court. This is the first request for an extension of time to file an answer or otherwise respond to Counterclaimant's Counterclaims.
Defendant was served with a copy of the Counterclaims in this matter on August 3, 2023, thereby making the response due on or before August 24, 2023. Counterdefendant requires additional time to thoroughly investigate the allegations and claims asserted in the Counterclaims. This request is made in good faith, in the interest of justice, and not for purposes of delay.
Accordingly, the parties' counsel of record have stipulated and agreed that Counterdefendant shall have an extension of time up to and including September 14, 2023, to respond to the Counterclaims on file herein.
ORDER
IT IS SO ORDERED.