Opinion
2:22-cv-01400-APG-VCF
12-07-2022
Shannon G. Splaine, Esq. LINCOLN, GUSTAFSON & CERCOS LLP James K. Schultz, Esq. SESSIONS ISRAEL & SHARTLE, L.L.P. Robert M. Tzall Shoman Za Washington, Jr. Phoenix Financial Services, LLC
Shannon G. Splaine, Esq.
LINCOLN, GUSTAFSON & CERCOS LLP
James K. Schultz, Esq.
SESSIONS ISRAEL & SHARTLE, L.L.P.
Robert M. Tzall
Shoman Za Washington, Jr.
Phoenix Financial Services, LLC
JOINT STIPULATION AND ORDER FOR EXTENSION OF TIME TO RESPOND TO CLASS ACTION COMPLAINT
FIRST REQUEST
It is hereby stipulated by Plaintiff Shoman Za Washington, Jr. and Defendant Phoenix Financial Services, LLC (“PFS”), through undersigned counsel, that PFS may have an extension of time to respond to the Class Action Complaint from December 7, 2022, through and until December 21, 2022. This stipulation is made with respect to the following:
1. Plaintiff filed this action on August 29, 2022 in the United States District Court for the District of Nevada.
2. PFS was served on November 16, 2022, making the original response due date December 7, 2022.
3. Additional time is needed for defense counsel to evaluate the information necessary to respond to the Complaint. The parties also intend to discuss potential early resolution of this claim.
4. On December 6, 2022, the parties agreed to a 14-day extension of time for PFS to respond to the Complaint through, and until December 21, 2022.
Granting this request for an extension of time to respond to the Complaint will neither prejudice any party nor unreasonably delay the litigation.
IT IS SO STIPULATED.
Pursuant to the Parties' joint stipulation, IT IS HEREBY ORDERED:
Defendant shall have an extension of time to and including December 21, 2022, to respond to the Complaint.