Opinion
DAVID RAIZMAN, OGLETREE, DEAKINS, NASH, SMOAK & STEWART, P.C., Los Angeles, California, DANIELLE A. HINTON, OGLETREE, DEAKINS, NASH, SMOAK & STEWART, P.C., San Francisco, California, Attorneys for Defendants, G6 HOSPITALITY LLC and G6 HOSPITALITY PROPERTY LLC.
REINER & SLAUGHTER, LLP Todd E. Slaughter, Attorneys for Plaintiff, SUZANNE JEANNETTE WELTCH.
DISABLED ADVOCACY GROUP, APLC Scottlynn J. Hubbard IV, Attorneys for Plaintiff, SUZANNE JEANNETTE WELTCH.
STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANTS G6 HOSPITALITY LLC AND G6 HOSPITALITY PROPERTY LLC TO RESPOND TO COMPLAINT (L.R. 144)
JOHN A. MENDEZ, District Judge.
Pursuant to Rule 144 of the Local Rules of this Court, plaintiff Suzanne Jeannette Weltch ("Plaintiff") and defendants G6 Hospitality LLC and G6 Hospitality Property LLC (collectively, "Defendants") hereby stipulate and seek a Court order that Defendants will have through and including May 4, 2015, in which to serve and file a response to Plaintiff's complaint in the action. The Parties continue in their good faith efforts to negotiate an early resolution to this matter that will obviate the need for any litigation activity in this action, including Defendants' need to file a response to the complaint. Previously, the Parties stipulated to a 28-day extension of time for defendants to respond. [Docket No. 007] No Court dates are affected by this extension of time.
IT IS SO STIPULATED.
ORDER
GOOD CAUSE APPEARING, the Court hereby adopts the Parties' Stipulation. Defendants shall have until May 4, 2015 to file a response to Plaintiff's complaint.
IT IS SO ORDERED.