Opinion
2:22-cv-02058 -RFB-VCF
01-18-2023
William White Plaintiff, v. Equifax Information Services, LLC; Experian Information Solutions, Inc.; National Consumer Telecom & Utilities Exchange, Inc.; Credit Collection Services; Bank of America N.A.; and Comcast Cable Communications Management LLC, Defendants.
FREEDOM LAW FIRM, LLC George Haines (SBN: 9411) Gerardo Avalos (SBN: 15171) Attorneys for Plaintiff William White Robert E. Schumacher (SBN: 7504) Joshua Y. Ang (SBN: 14026) Gordon Rees Scully Mansukhani, LLP Attorneys For: Defendant Credit Control Services, Inc. dba Credit Collection Services
FREEDOM LAW FIRM, LLC George Haines (SBN: 9411) Gerardo Avalos (SBN: 15171) Attorneys for Plaintiff William White
Robert E. Schumacher (SBN: 7504) Joshua Y. Ang (SBN: 14026) Gordon Rees Scully Mansukhani, LLP Attorneys For: Defendant Credit Control Services, Inc. dba Credit Collection Services
JOINT STIPULATION AND ORDER EXTENDING TIME TO FILE ANSWER (SECOND REQUEST)
Plaintiff, William White (“Plaintiff”) and Defendant, Credit Control Services, Inc. dba Credit Collection Services, incorrectly identified in Plaintiff's Complaint as Credit Collection Services, (“Defendant”), by and through their undersigned counsel of record, hereby agree and stipulate that the deadline by which Defendant must answer or otherwise respond to the Complaint is further extended to January 27, 2023. This extension is appropriate to allow Defendant to further continue settlement discussions (which remain under way) and also to allow recently retained counsel to review and analyze the Complaint and prepare an appropriate response.
This is the parties' second request for an extension of time and is not intended to cause any undue delay or prejudice to any party.
IT IS SO ORDERED