Opinion
2:23-cv-00307-GMN -BNW
04-24-2023
THORNDAL ARMSTRONG, PC BRUCE SCOTT DICKINSON, ESQ. Attorneys for Plaintiff MURCHISON & CUMMING, LLP Michael J. Nuñez, Esq. Tyler N. Ure, Esq. Attorneys for Penske Truck Leasing Company, L.P. and Penske Truck Leasing Corporation
THORNDAL ARMSTRONG, PC
BRUCE SCOTT DICKINSON, ESQ.
Attorneys for Plaintiff
MURCHISON & CUMMING, LLP
Michael J. Nuñez, Esq.
Tyler N. Ure, Esq.
Attorneys for Penske Truck Leasing Company, L.P. and Penske Truck Leasing Corporation
STIPULATION AND ORDER TO EXTEND TIME FOR PLAINTIFF U.S. EXPRESS CARRIERS LLC TO RESPOND TO DEFENDANTS PENSKE TRUCK LEASING COMPANY, L.P., AND PENSKE TRUCK LEASING CORPORATION'S MOTION TO TRANSFER
Pursuant to LR IA 6-1(a), Plaintiff, U.S. EXPRESS CARRIERS LLC, and Defendants, PENSKE TRUCK LEASING COMPANY, L.P., and PENSKE TRUCK LEASING CORPORATION, by and through their respective counsel of record, hereby stipulate and agree to allow U.S. EXPRESS CARRIERS LLC until and including May 22, 2023 to file its responsive pleading to Defendants Penske Truck Leasing Company, L.P., and Penske Truck Leasing Corporation's Motion to Transfer.
The reasons for this stipulation are: this extension of time will allow for 1) the completion of service of process upon all defendants; 2) to allow Defendant United Specialty Insurance Company to file its answer which is due on or before May 10, 2023; and 3) to allow counsel for Plaintiff to analyze the motion to change venue and related case law and to consult with U.S. Express Carriers about the merits of the motion.
This stipulation is entered into in good faith and not for the purpose of delay.
IT IS SO ORDERED.