Bryant v. Colorado Grill Fresno Inc. et al

Filing 13

STIPULATION and ORDER FOR EXTENSION OF TIME FOR CHONG'S PLAZA TO RESPOND TO COMPLAINT. IT IS SO ORDERED that defendant Chongs Plaza LLC shall have until December 26, 2017 to answer or otherwise respond to the Complaint. Signed by Magistrate Judge Stanley A. Boone on 12/14/2017. (Hernandez, M)

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1 2 3 4 Bruce A. Neilson #096952 7108 N. Fresno St. #410 Fresno, California 93720 Telephone (559) 432-9831 Facsimile (559) 432-1837 Attorney for Defendant Chong’s Plaza LLC 5 6 UNITED STATES DISTRICT COURT 7 EASTERN DISTRICT OF CALIFORNIA 8 14 ***** )))))) ) RACHEL BRYANT, ) ) Plaintiff, ) vs. ) ) COLORADO GRILL FRESNO INC. dba ) COLORADO GRILL; CHONG’S PLAZA LLC; ) ) Defendants. ) _____________________________________ ) 15 WHEREAS: 9 10 11 12 13 18 SECOND STIPULATION AND ORDER FOR EXTENSION OF TIME FOR CHONG’S PLAZA LLC TO RESPOND TO COMPLAINT 1. Plaintiff Rachel Bryant (“Plaintiff”) filed her complaint in this action on September 21, 16 17 CASE NO. 1:17-cv-01266-DAD-SAB 2017. 2. This is the second request for an extension of time for Defendant Chong’s Plaza LLC 19 (“Defendant”). A previous stipulation for extension of time was granted by local rule and 20 therefore court approval is required for a further extension of time. A joint status report is due on 21 or about January 16, 2017. 22 23 24 3. Plaintiff and Defendant continue to be in settlement negotiations at this time, but time is needed to conclude the terms of a settlement. 4. The other defendant in this case (Colorado Grill Fresno Inc.), because of waiver of 25 service of summons (Dkt. 8), does not have a responsive pleading due until December 26, 2017. 26 The parties to this stipulation agree and submit that settlement of this case prior to the preparation 27 of a joint status report would save valuable court time and resources and have agreed to extend this 28 Defendant’s time to respond to the complaint until December 26, 2017 also, subject to the court's approval. NOW THEREFORE, Defendant Chong’s Plaza LLC through its attorneys, and Plaintiff Rachel 1 2 3 Bryant through her attorneys, hereby stipulate and agree that the time for Defendant Chong’s Plaza LLC to answer or otherwise respond to the Complaint shall be extended up to and including December 26, 2017, pending court approval. 4 5 IT IS SO STIPULATED. 6 7 Dated: December 12, 2017 8 9 Dated: December 12, 2017 10 MISSION LAW FIRM, A.P.C. /s/Zachary M. Best Zachary M. Best, Attorney for Plaintiff Rachel Bryant /s/Bruce A. Neilson Bruce A. Neilson, Attorney for Defendant, Chong’s Plaza, LLC 11 ORDER 12 13 14 15 IT IS SO ORDERED that defendant Chong’s Plaza LLC shall have until December 26, 2017 to answer or otherwise respond to the Complaint. 16 17 IT IS SO ORDERED. 18 Dated: 19 20 21 22 23 24 25 26 27 28 December 14, 2017 UNITED STATES MAGISTRATE JUDGE

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