United African-Asian Abilities Club et al v. 6301 Ming Associates, LLC

Filing 5

STIPULATION and ORDER 4 to Extend Time to Respond to Complaint, signed by Magistrate Judge Jennifer L. Thurston on 2/13/2018. Responsive pleading due by 3/6/2018. (Hall, S)

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1 2 3 4 5 6 THE KARLIN LAW FIRM LLP L. Scott Karlin (SBN 90605) David E. Karlin (SBN 275905) 13522 Newport Avenue, Suite 201 Tustin, California 92780 Telephone: (714) 731-3283 Facsimile: (714) 731-5741 lsk@karlinlaw.com david@karlinlaw.com 7 8 Attorneys for Defendant: 6301 Ming Associates, LLC 9 10 11 12 13 14 15 16 17 18 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA Case No. 1:18-cv-00106-LJO-JLT United African-Asian Abilities Club; Jessie James Davis IV, UAAAC Member, Stipulation to Extend Time to Respond to Plaintiffs, vs. 6301 Ming Associates, LLC and Does 1 through 10, inclusive, Initial Complaint By Not More Than 28 Days; [PROPOSED] Order (Doc. 4) Defendants. 19 20 21 The following stipulation is entered into by and between Plaintiff, United African- 22 Asian Abilities Club; Jessie James Davis IV, UAAAC Member, and Defendant, 6301 23 Ming Associates, LLC, in this action (“Parties”), by and through their respective counsel 24 of record. The Parties hereby enter into the following stipulation; 25 WHEREAS, Local Rule 144(a) of the United State District Court for the Eastern 26 District of California provides that the parties may stipulate to extend the time for 27 responding to a complaint without leave of Court so long as all parties affected by the 28 extension consent and the extension is no longer than 28 days; 1 1:18-cv-00106-LJO-JLT -- STIPULATION 1 2 3 4 5 6 7 1. Plaintiff agrees to give Defendant 6301 Ming Associates, LLC an extension to respond to the Complaint. 2. Original due date to respond to the Complaint was on February 20, 2018 for Defendant, 6301 Ming Associates, LLC. 3. It is agreed and stipulated that the new due date will be March 6, 2018 for Defendant 6301 Ming Associates, LLC in this action. Good cause exists for this extension as defense counsel has just been retained for 8 this case and requires time to become knowledgeable about the case to prepare an initial 9 pleading. 10 Accordingly, the Parties stipulate to the above. 11 IT IS SO STIPULATED. 12 DATED: 2/12/18 LAW OFFICES OF DAVID C. WAKEFIELD 13 14 By: __/s/ David C. Wakefield__ David C. Wakefield, Esq. Attorney for Plaintiffs, United African-Asian Abilities Club; Jessie James Davis IV, UAAAC Member 15 16 17 18 19 DATED: 2/12/18 THE KARLIN LAW FIRM LLP 20 21 22 23 By: /s/ David E. Karlin David E. Karlin, Esq. Attorneys for Defendant, 6301 Ming Associates, LLC 24 25 26 27 I, David E. Karlin attest that all other signatories listed, and on whose behalf the filing is submitted, concur in the filing’s content and have authorized the filing __/s/ David E. Karlin_____ David E. Karlin 28 2 1:18-cv-00106-LJO-JLT -- STIPULATION ORDER 1 2 3 4 5 The Court, having duly considered the parties’ stipulation set forth above, and good cause appearing, orders as follows: Defendant’s deadline to file a responsive pleading to Plaintiffs’ Complaint is extended to March 6, 2018. 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 IT IS SO ORDERED. Dated: February 13, 2018 /s/ Jennifer L. Thurston UNITED STATES MAGISTRATE JUDGE

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