Kim v. Hunter Warfield Inc et al
Filing
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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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UNITED STATES DISTRICT COURT
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WESTERN DISTRICT OF WASHINGTON
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AT SEATTLE
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KATELYN KIM,
Case No. 2:24-cv-02140-JCC
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Plaintiff,
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v.
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HUNTER WARFIELD, INC., EQUIFAX
INFORMATION SERVICES, LLC,
EXPERIAN INFORMATION SOLUTIONS,
INC., and TRANS UNION, LLC,
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STIPULATED MOTION FOR
EXTENSION OF TIME TO FILE
RESPONSIVE PLEADING TO
COMPLAINT, AND [PROPOSED]
ORDER
Note on Motion Calendar: March 10, 2025
Defendants.
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STIPULATED MOTION
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Defendant Equifax Information Services, LLC (“Equifax”) and plaintiff Katelyn Kim
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move the Court for an Order extending the deadline for Equifax to answer, plead, or otherwise
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respond to plaintiff’s Complaint, up to and including April 9, 2025.
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1.
Plaintiff filed this Complaint on December 20, 2024.
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2.
Equifax was served with the Complaint on January 8, 2025.
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3.
Equifax’s time to respond to the Complaint is currently March 10, 2025.
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4.
Equifax requests additional time to file its responsive pleading through and
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including April 9, 2025, so that the parties may engage in settlement negotiations.
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5.
Plaintiff consent to this motion.
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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
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7.
Equifax respectfully submits that the foregoing circumstances constitute good
cause and warrant granting the extension requested.
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Wherefore, both parties respectfully request that this Court grant defendant Equifax an
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extension of time up to and including April 9, 2025, within which to serve its responses to the
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Complaint.
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I certify that this memorandum contains 479 words, in compliance with Local Civil Rule
7(e)(1).
DATED: March 10, 2025.
MARKOWITZ HERBOLD PC
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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
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Craig B. Sanders, WSBA #46986
csanders@sanderslaw.group
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Attorneys for Plaintiff Katelyn Kim
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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
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ORDER
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Based upon the foregoing Stipulated Motion for Extension of Time to Answer or
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Otherwise Plead, the Court hereby ORDERS AND ADJUDGES as follows:
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1.
The Stipulated Motion is GRANTED and ACCEPTED by the Court.
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2.
Defendant Equifax Information Services, LLC shall answer or otherwise respond
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to the Complaint by April 9, 2025.
DATED : _______March 10,__________________2025.
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A
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HONORABLE John C. Coughenour
U.S. District Judge
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Presented by:
s/Jeffrey M. Edelson
_____________________________
Jeffrey M. Edelson, WSBA #37361
JeffEdelson@MarkowitzHerbold.com
Attorney for Defendant Equifax Information
Services, LLC
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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
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ATTORNEY CERTIFICATE OF SERVICE
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I hereby certify that on March 10, 2025, I electronically filed the foregoing
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STIPULATED MOTION FOR EXTENSION OF TIME TO FILE RESPONSIVE
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PLEADING TO COMPLAINT, AND [PROPOSED] ORDER with the Clerk of the Court
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using the CM/ECF system which will send notification of such filing to the following:
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Craig B. Sanders
SANDERS LAW GROUP
333 Earle Ovington Blvd. Suite 402
Uniondale NY 11553
Of Attorneys for Plaintiff
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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
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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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