Opinion
2:22-cv-1264-JCM-BNW
02-10-2023
Jennifer Braster, Esq. Benjamin B. Gordon, Esq. Alexius Miller, Esq. Counsel for Plaintiff Paul S. Padda, Esq. Counsel for Defendants
Jennifer Braster, Esq. Benjamin B. Gordon, Esq. Alexius Miller, Esq. Counsel for Plaintiff
Paul S. Padda, Esq. Counsel for Defendants
STIPULATION TO PERMIT DEFENDANTS ADDITIONAL TIME TO FILE REPLIES
Pursuant to Federal Rule of Civil Procedure 6(b)(1) and the Court's Local Rule of Civil Practice 7-2, Plaintiff and Defendants stipulate and agree to permit Defendants additional time, or until February 10, 2023, to file replies to Plaintiff's oppositions to Defendants' motions to stay and for extension. See ECF Nos. 36 and 38. This is the parties' first request for an extension of time for the purpose set forth herein. The parties respectfully request the Court approve this stipulation and in support of this request rely upon the following facts:
Defendants' replies to Plaintiff's opposition to Defendants' motions for stay and extension were due, respectively, on January 27, 2023 and February 6, 2023. However, as Defendant's counsel has explained to counsel for Plaintiff, due to an unfortunate computer error these deadlines, while properly entered, did not get saved to defense counsel's calendaring system. Counsel for Defendant did not become aware of the deadlines until reviewing the Court's docket on February 7, 2023. The calendaring error which resulted in defense counsel missing the deadlines was the result of excusable neglect.
In light of the foregoing, and based upon excusable neglect, the parties respectfully request that the Court approve this Stipulation.
IT IS SO ORDERED.