Kim v. Hunter Warfield Inc et al

Filing 11

ORDER granting Parties' 9 Stipulated Motion for Extension of Time to Answer. Defendant Equifax Information Services, LLC shall answer or otherwise respond to the Complaint by 4/9/2025. Signed by U.S. District Judge John C. Coughenour. (KRA)

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1 2 3 4 5 6 7 UNITED STATES DISTRICT COURT 8 WESTERN DISTRICT OF WASHINGTON 9 AT SEATTLE 10 KATELYN KIM, Case No. 2:24-cv-02140-JCC 11 Plaintiff, 12 v. 13 HUNTER WARFIELD, INC., EQUIFAX INFORMATION SERVICES, LLC, EXPERIAN INFORMATION SOLUTIONS, INC., and TRANS UNION, LLC, 14 15 STIPULATED MOTION FOR EXTENSION OF TIME TO FILE RESPONSIVE PLEADING TO COMPLAINT, AND [PROPOSED] ORDER Note on Motion Calendar: March 10, 2025 Defendants. 16 17 STIPULATED MOTION 18 Defendant Equifax Information Services, LLC (“Equifax”) and plaintiff Katelyn Kim 19 move the Court for an Order extending the deadline for Equifax to answer, plead, or otherwise 20 respond to plaintiff’s Complaint, up to and including April 9, 2025. 21 1. Plaintiff filed this Complaint on December 20, 2024. 22 2. Equifax was served with the Complaint on January 8, 2025. 23 3. Equifax’s time to respond to the Complaint is currently March 10, 2025. 24 4. Equifax requests additional time to file its responsive pleading through and 25 including April 9, 2025, so that the parties may engage in settlement negotiations. 26 5. Plaintiff consent to this motion. 27 6. The request is made in good faith and not for the purpose of delay. STIPULATED MOTION FOR EXTENSION OF TIME AND [PROPOSED] ORDER - 1 Case No. 2:24-cv-02140-JCC MARKOWITZ HERBOLD PC 1455 SW BROADWAY, SUITE 1900 PORTLAND, OR 97201 (503) 295-3085 1 2 7. Equifax respectfully submits that the foregoing circumstances constitute good cause and warrant granting the extension requested. 3 Wherefore, both parties respectfully request that this Court grant defendant Equifax an 4 extension of time up to and including April 9, 2025, within which to serve its responses to the 5 Complaint. 6 7 8 I certify that this memorandum contains 479 words, in compliance with Local Civil Rule 7(e)(1). DATED: March 10, 2025. MARKOWITZ HERBOLD PC 9 10 11 12 13 14 15 16 17 18 s/ Jeffrey M. Edelson Jeffrey M. Edelson, WSBA #37361 JeffEdelson@MarkowitzHerbold.com 1455 SW Broadway, Suite 1900 Portland, OR 97201 Telephone: (503) 295-3085 Attorneys for Defendant Equifax Information Services, LLC SANDERS LAW GROUP s/ Craig B. Sanders 19 Craig B. Sanders, WSBA #46986 csanders@sanderslaw.group 20 Attorneys for Plaintiff Katelyn Kim 21 22 23 24 25 26 27 STIPULATED MOTION FOR EXTENSION OF TIME AND [PROPOSED] ORDER - 2 Case No. 2:24-cv-02140-JCC MARKOWITZ HERBOLD PC 1455 SW BROADWAY, SUITE 1900 PORTLAND, OR 97201 (503) 295-3085 1 ORDER 2 Based upon the foregoing Stipulated Motion for Extension of Time to Answer or 3 Otherwise Plead, the Court hereby ORDERS AND ADJUDGES as follows: 4 1. The Stipulated Motion is GRANTED and ACCEPTED by the Court. 5 2. Defendant Equifax Information Services, LLC shall answer or otherwise respond 6 7 8 to the Complaint by April 9, 2025. DATED : _______March 10,__________________2025. 9 10 A 11 12 13 HONORABLE John C. Coughenour U.S. District Judge 14 15 16 17 18 19 20 Presented by: s/Jeffrey M. Edelson _____________________________ Jeffrey M. Edelson, WSBA #37361 JeffEdelson@MarkowitzHerbold.com Attorney for Defendant Equifax Information Services, LLC 21 22 23 24 25 26 27 STIPULATED MOTION FOR EXTENSION OF TIME AND [PROPOSED] ORDER - 3 Case No. 2:24-cv-02140-JCC MARKOWITZ HERBOLD PC 1455 SW BROADWAY, SUITE 1900 PORTLAND, OR 97201 (503) 295-3085 1 ATTORNEY CERTIFICATE OF SERVICE 2 I hereby certify that on March 10, 2025, I electronically filed the foregoing 3 STIPULATED MOTION FOR EXTENSION OF TIME TO FILE RESPONSIVE 4 PLEADING TO COMPLAINT, AND [PROPOSED] ORDER with the Clerk of the Court 5 using the CM/ECF system which will send notification of such filing to the following: 6 7 8 Craig B. Sanders SANDERS LAW GROUP 333 Earle Ovington Blvd. Suite 402 Uniondale NY 11553 Of Attorneys for Plaintiff 9 10 11 12 13 14 U.S. Mail Facsimile Hand Delivery Overnight Courier Email: csanders@sanderslaw.group Electronically via USDC CM/ECF system DATED: March 10, 2025. s/ Jeffrey M. Edelson Jeffrey M. Edelson, WSBA #37361 Attorneys for Defendant Equifax Information Services, LLC 15 16 17 18 19 20 21 22 23 24 25 26 27 STIPULATED MOTION FOR EXTENSION OF TIME AND [PROPOSED] ORDER - 4 Case No. 2:24-cv-02140-JCC MARKOWITZ HERBOLD PC 1455 SW BROADWAY, SUITE 1900 PORTLAND, OR 97201 (503) 295-3085

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