Opinion
2:21-cv-01287-CDS-VCF
01-30-2023
BYRON THOMAS, ESQ Nevada Bar No. 8906 Attorney for Plaintiff LAW OFFICE OF BYRON THOMAS BYRON E. THOMAS, ESQ. Nevada Bar No. 8906 Attorneys for Plaintiff Frank Underhill, Jr. JACKSON LEWIS P.C. JOSHUA A. SLIKER, ESQ. Nevada Bar No. 12493 KYLE J. HOYT, ESQ. Nevada Bar No. 14886 Attorneys for Defendants For The Earth Corporation and Nelson Grist
BYRON THOMAS, ESQ Nevada Bar No. 8906 Attorney for Plaintiff
LAW OFFICE OF BYRON THOMAS BYRON E. THOMAS, ESQ. Nevada Bar No. 8906 Attorneys for Plaintiff Frank Underhill, Jr.
JACKSON LEWIS P.C. JOSHUA A. SLIKER, ESQ. Nevada Bar No. 12493 KYLE J. HOYT, ESQ. Nevada Bar No. 14886 Attorneys for Defendants For The Earth Corporation and Nelson Grist
STIPULATION TO EXTEND DEADLINE TO FILE RESPONSE TO MOTION TO ENFORCE (FIRST REQUEST|)
Defendants Integrity Health Corporation f/k/a For The Earth Corporation (“FTEC”) and Nelson Grist (“Defendants”), by and through their counsel of record, Jackson Lewis, P.C., and Plaintiff Frank Underhill, Jr. (“Plaintiff”), by and through his counsel of record, Law Office of Byron Thomas, submit the following Stipulation as follows:
1. Defendants filed a Motion to Enforce on or about January 13, 2023 (ECF No. 24; ECF No. 36).
2. The Response is due on January 27, 2023. The parties have agreed to extend the deadline to respond to the Motion to Enforce to February 3, 2023. To accommodate attorney workload, schedule, and illness.
3. This stipulation is entered into in good faith and not for purposes of delay, and this is the parties first request.
ORDER
IT IS SO ORDERED.