Opinion
2:18-cv-2269-JAD-BNW
08-03-2023
UNITED AUTOMOBILE INSURANCE COMPANY, Plaintiff, v. THOMAS CHRISTENSEN, an individual; E. BREEN ARNTZ, an individual; GARY LEWIS, an individual; Defendants.
Christensen Law Offices, LLC Thomas F. Christensen Nevada Bar #2326 Attorneys for Defendant Gary Lewis Christensen & Arntz Lewis Roca Rothgerber Christie, LLP Abraham G. Smith Nevada Bar #13250 Attorney for Plaintiff United Automobile Insurance Company
Christensen Law Offices, LLC Thomas F. Christensen Nevada Bar #2326 Attorneys for Defendant Gary Lewis Christensen & Arntz
Lewis Roca Rothgerber Christie, LLP Abraham G. Smith Nevada Bar #13250 Attorney for Plaintiff United Automobile Insurance Company
STIPULATION AND ORDER TO EXTEND DEADLINE FOR FILING RESPONSE (FIRST REQUEST) ECF NO. 152
Plaintiff United Automobile Insurance Company and Defendants Thomas Christensen, E. Breen Arntz and Gary Lewis, by and through their respective undersigned counsel, hereby stipulate and agree as follows:
Due to counsel for the Defendants suffering multiple break-ins at his office over the past two weeks and him simultaneously needing to take time to assist his wife after surgery, the deadline for Defendants to file their response to Plaintiff's Motion to Amend Complaint to Drop Barratry Charges (ECF #148) shall be extended through August 16, 2023.
This is the first request for an extension regarding this pending motion.
ORDER
IT IS SO ORDERED.