Hopson v. T & S Business Corporation et al
Filing
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STIPULATION and ORDER signed by District Judge John A. Mendez on 10/19/2017 GRANTING Defendant's Extension of Time to file a responsive pleading to Plaintiff's First Amended Complaint until 11/11/2017. (Hunt, G)
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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
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Attorneys for Defendant: Main & Main Del Paso LLC
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UNITED STATES DISTRICT COURT
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Cynthia Hopson,
EASTERN DISTRICT OF CALIFORNIA
Case No. 2:17-cv-01946-JAM-AC
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Plaintiff,
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vs.
T & S Business Corporation, as an entity
and doing business as “Ihop #649”, GIM
S. Wong, as an individual and doing
business as “Red Star International
Foods”, Main & Main Del Paso LLC,
and Does 1-10, inclusive,
Stipulation to Extend Time to Respond to
Initial Complaint By Not More Than 28
Days; Order
Complaint served: 10/3/17
Current response date: 10/24/17
New response date: 11/21/17
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Defendants.
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The following stipulation is entered into by and between Plaintiff, Cynthia Hopson
and Defendant, Main & Main Del Paso LLC, in this action (“Parties”), by and through
their respective counsel of record. The Parties hereby enter into the following stipulation:
WHEREAS, Local Rule 144(a) of the United State District Court for the Eastern
District of California provides that the parties may stipulate to extend the time for
responding to a complaint without leave of Court so long as all parties affected by the
extension consent and the extension is no longer than 28 days;
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2:17-cv-01946-JAM-AC -- STIPULATION
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1. Plaintiff agrees to give Defendant Main & Main Del Paso LLC an extension to
respond to the Complaint.
2. Original due date to respond to the Complaint was on October 24, 2017 for
Defendant, Main & Main Del Paso LLC.
3. It is agreed and stipulated that the new due date will be November 23, 2017 for
Defendant Main & Main Del Paso LLC in this action.
Good cause exists for this extension as defense counsel has just been retained for
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this case and requires time to become knowledgeable about the case to prepare an initial
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pleading.
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Accordingly, the Parties stipulate to the above.
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IT IS SO STIPULATED.
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DATED: 10/18/17
LAW OFFICE OF DANIEL MALAKAUSKAS
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By: __/s/ Daniel Malakauskas __
Daniel Malakauskas, Esq.
Attorney for Plaintiff, Cynthia Hopson
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DATED: 10/18/17
THE KARLIN LAW FIRM LLP
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By:
/s/ David E. Karlin
David E. Karlin, Esq.
Attorneys for Defendant, Main & Main Del
Paso LLC
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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
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_/s/ David E. Karlin____
David E. Karlin
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ORDER
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’ First Amended
Complaint is extended to November 11, 2017.
IT IS SO ORDERED.
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Dated: 10/19/17
/s/ John A. Mendez_________
U. S. District Court Judge
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2:17-cv-01946-JAM-AC -- STIPULATION
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