Opinion
2:21-cv-01749-JCM-DJA
11-23-2022
Ryan Gile, Esq. GILE LAW GROUP LTD. Attorney for Defendant/Counterclaimant U.S. TURF, LLC PROCOPIO, CORY, HARGREAVES & SAVITCH LLP Jeffery A. Garofalo (Bar No. 7345) Tiffany Salayer (Pro Hac Vice) Lisel M. Ferguson (Pro Hac Vice) Attorneys for Plaintiff Upmann Sanchez Turf and Landscape
Ryan Gile, Esq.
GILE LAW GROUP LTD.
Attorney for Defendant/Counterclaimant U.S. TURF, LLC
PROCOPIO, CORY, HARGREAVES & SAVITCH LLP
Jeffery A. Garofalo (Bar No. 7345)
Tiffany Salayer (Pro Hac Vice)
Lisel M. Ferguson (Pro Hac Vice)
Attorneys for Plaintiff Upmann Sanchez Turf and Landscape
STIPULATION AND [PROPOSED] ORDER FOR EXTENSION OF TIME TO RESPOND TO PLAINTIFF UPMANN SANCHEZ TURF AND LANDSCAPE'S OPPOSITION TO U.S. TURF LLC'S MOTION TO STRIKE (ECF NO. 35)
(FIRST REQUEST)
Pursuant to Local Rules IA 6-1 and IA 6-2, Plaintiff/Counter-Defendant UPMANN SANCHEZ TURF AND LANDSCAPE, INC. (“Plaintiff”) and Defendant/Counterclaimant U.S. TURF LLC (“Defendant”) hereby stipulate and agree to an extension of time for Defendant to file its response to Plaintiff's Opposition to Defendant's Motion to Strike (ECF No. 35) (Plaintiff's Opposition) from the current deadline of November 28, 2022, to December 5, 2022. This is the first request by the parties for such an extension.
Defendant's request for additional time to respond to Plaintiff's Opposition is to accommodate the upcoming Thanksgiving holiday along with the expected normal disruptions of the holiday season. Accordingly, such extension is for good cause and not for purposes of delay.
THEREFORE, Plaintiff and Defendant hereby stipulate and agree that Defendant's deadline to file its response to Plaintiff's Opposition to Defendant's Motion to Strike (ECF No. 35) shall be extended to December 5, 2022.
IT IS SO AGREED AND STIPULATED:
IT IS SO ORDERED: