Opinion
2:23-cv-00225-RFB-BNW
04-25-2023
LAIRD LAW PLLC, DANIAL LAIRD, ESQ. Attorney for Plaintiff JASON M. FRIERSON, R. THOMAS COLONNA Assistant United States Attorney Attorneys for the United States.
LAIRD LAW PLLC, DANIAL LAIRD, ESQ. Attorney for Plaintiff
JASON M. FRIERSON, R. THOMAS COLONNA Assistant United States Attorney Attorneys for the United States.
JOINT STIPULATION TO STAY DISCOVERY (SECOND REQUEST)
IT IS HEREBY STIPULATED between Plaintiff Cora Alexandra Webb and Defendant United States, by and through their respective counsel, as follows:
1. On April 17, 2023, Defendant United States filed a Motion to Stay Discovery (ECF No. 8).
2. On April 18, 2023, this Court denied the Motion without prejudice for failure to provide a meet-and-confer certification (ECF No. 9).
3. On April 20, 2023, counsel for the parties participated in a meet and confer regarding stay of the discovery in this case.
4. During their meet and confer counsel agreed to stay discovery pending the Court's ruling on Defendant United States' Motion to Dismiss (ECF No. 7). Plaintiff will file her Response to the Motion to Dismiss by May 1, 2023.
5. The parties believe that it is in their best interest to await a ruling by the Court on the pending motion, in particular as the motion will dispose of the entire case if granted. As such, the parties respectfully request that the Court stay discovery in this matter.
IT IS S O ORDERED: