Opinion
2:21-cv-01121-JAD-EJY
04-25-2023
Lawrence J. Semenza, III, Esq., Bar No. 7174 Katie L. Cannata, Esq., Bar No. 14848 SEMENZA KIRCHER RICKARD Attorneys for Defendants Jorge Cervantes and CEC Industries, Inc. AKERMAN LLP Melanie D. Morgan, Esq., Bar No. 8215 Scott R. Lachman, Esq., Bar No. 12016 Attorneys for Plaintiffs Vanguard Dealer Services, LLC and Motor Dealer Services Group, LLC
Lawrence J. Semenza, III, Esq., Bar No. 7174 Katie L. Cannata, Esq., Bar No. 14848 SEMENZA KIRCHER RICKARD Attorneys for Defendants Jorge Cervantes and CEC Industries, Inc.
AKERMAN LLP Melanie D. Morgan, Esq., Bar No. 8215 Scott R. Lachman, Esq., Bar No. 12016 Attorneys for Plaintiffs Vanguard Dealer Services, LLC and Motor Dealer Services Group, LLC
STIPULATION AND ORDER TO EXTEND THE DEADLINE FOR DEFENDANTS/COUNTERCLAIMANTS' REPLY IN SUPPORT OF MOTION FOR LEAVE TO AMEND COUNTERCLAIM [ECF NO. 75] (FIRST REQUEST)
Plaintiffs/Counter-Defendants Vanguard Dealer Services, LLC and Motor Dealer Services Group, LLC (together, "Plaintiffs") and Defendants/Counterclaimants Jorge Cervantes and CEC Industries, Inc. (together, "Defendants") (collectively, the "Parties"), by and through their undersigned counsel of record, hereby stipulate and agree to the following:
1. On April 5, 2023, Defendants filed a Motion for Leave to Amend Counterclaim (the "Motion for Leave"). (ECF No. 75.)
2. On April 19, 2023, Plaintiffs filed a Response to the Motion for Leave. (ECF No. 76.)
3. Defendants Reply brief in support of the Motion for Leave is currently due on Wednesday, April 26, 2023.
4. Counsel for Defendants are in the process of conferring with their client regarding Plaintiffs' Response and their forthcoming Reply brief. As such, the Parties hereby stipulate and agree that the deadline for Defendants' Reply brief shall be extended by two (2) weeks, up to and including Wednesday, May 10, 2023.
IT IS SO ORDERED.