Biggs v. Experian Information Solutions, Inc. et al
Filing
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ORDER Granting 18 Stipulation (Joint) to Extend Time to Respond to Initial Complaint filed by Ally Financial, Inc. The time for Ally to respond to the Complaint shall be extended by an additional 30 days up to and including June 10, 2016. Signed by Judge Edward J. Davila on 5/12/2016. (ecg, COURT STAFF) (Filed on 5/12/2016)
vila
FO
rd J . D a
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d wa
J u d ge E
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DERED
H
E R DATED: 5/12/2016 C
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D IS T IC T O
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UNITED STATES DISTRICT COURT
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7 Attorneys for Defendant
ALLY FINANCIAL, INC.
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S DISTRICT
TE
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TA
O OR
IT IS S
NO
1 JOHN B. SULLIVAN (State Bar No. 96742)
jbs@severson.com
2 MARY KATE KAMKA (State Bar No. 282911)
mkk@severson.com
3 SEVERSON & WERSON
A Professional Corporation
4 One Embarcadero Center, Suite 2600
San Francisco, California 94111
5 Telephone: (415) 398-3344
Facsimile: (415) 956-0439
6
S
Case 5:16-cv-01506-EJD Document 18 Filed 05/10/16 Page 1 of 2
NORTHERN DISTRICT OF CALIFORNIA, SAN JOSE DIVISION
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12 Kurt Biggs,
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Case No. 5:16-cv-01506-EJD
Plaintiff,
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vs.
JOINT STIPULATION TO EXTEND
TIME TO RESPOND TO INITIAL
COMPLAINT
15 Experian Information Solutions, Inc.; Equifax,
Inc.; Ally Financial, Inc.; Harley-Davidson
16 Credit Corp.,
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Defendants.
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Plaintiff Kurt Biggs (“Plaintiff”) and Defendant Ally Financial Inc. (“Ally”) hereby
20 stipulate as follows:
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WHEREAS, Plaintiff filed this action against Ally on March 28, 2016 and a summons was
issued by the Court on March 28, 2016;
WHEREAS, Ally’s current deadline to respond to the Complaint is presently May 11,
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25 2016;
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07462.0520/7578416.1
5:16-cv-01506-HRL
2nd JOINT STIPULATION TO EXTEND TIME
TO RESPOND TO INITIAL COMPLAINT
Case 5:16-cv-01506-EJD Document 18 Filed 05/10/16 Page 2 of 2
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WHEREAS, the parties have agreed to an additional 30 day extension of time within
2 which to respond to the Complaint to allow the parties to work towards reaching an informal
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resolution to this matter.
WHEREFORE, Plaintiff and Ally stipulate as follows:
1.
The time for Ally to respond to the Complaint shall be extended by an additional 30
days up to and including June 10, 2016.
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2.
This is the second extension of time to respond for Ally.
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3.
This extension will not affect any other deadlines in this case.
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4.
This stipulation is without prejudice to the rights, claims, arguments and defenses
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of all parties.
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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16 DATED: May 10, 2016
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By:
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/s/ Mary Kate Kamka
Mary Kate Kamka
Attorneys for Defendant
ALLY FINANCIAL, INC.
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SEVERSON & WERSON
A Professional Corporation
DATED: May 10, 2016
SAGARIA LAW, P.C.
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By:
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/s/ Elliot W. Gale
Elliot W. Gale
Attorneys for Plaintiff
Kurt Biggs
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07462.0520/7578416.1
2
5:16-cv-01506-HRL
2nd JOINT STIPULATION TO EXTEND TIME
TO RESPOND TO INITIAL COMPLAINT
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