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Llewellyn v. Chevys Restaurants, LLC, 3:18-cv-01747-EMC. (2018)

Court: District Court, N.D. California Number: infdco20180509c00 Visitors: 2
Filed: May 07, 2018
Latest Update: May 07, 2018
Summary: STIPULATION TO EXTEND DEADLINE FOR DEFENDANTS CENTRO WATT PROPERTY OWNER II, LLC AND BRIXMOR PROPERTY GROUP, INC. TO RESPOND TO PLAINTIFF JAMES LLEWELLYN'S COMPLAINT EDWARD M. CHEN , District Judge . Pursuant to Civil L.R. 6-1(a), Plaintiff James Llewellyn ("Plaintiff") and Defendants Centro Watt Property Owner II, LLC and Brixmor Property Group, Inc. (collectively, "Defendants") (Plaintiff and Defendants are collectively referred to as the "Parties") hereby stipulate to extend Defendants'
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STIPULATION TO EXTEND DEADLINE FOR DEFENDANTS CENTRO WATT PROPERTY OWNER II, LLC AND BRIXMOR PROPERTY GROUP, INC. TO RESPOND TO PLAINTIFF JAMES LLEWELLYN'S COMPLAINT

Pursuant to Civil L.R. 6-1(a), Plaintiff James Llewellyn ("Plaintiff") and Defendants Centro Watt Property Owner II, LLC and Brixmor Property Group, Inc. (collectively, "Defendants") (Plaintiff and Defendants are collectively referred to as the "Parties") hereby stipulate to extend Defendants' time to respond to Plaintiff's Complaint ("Complaint") as follows:

WHEREAS, Plaintiff filed his Complaint on March 21, 2018;

WHEREAS, Plaintiff served his Complaint on Defendants on March 30, 2018;

WHEREAS, through the Parties' prior stipulation, Defendants' current responsive pleading deadline is May 9, 2018;

WHEREAS, the Parties' respective counsel have met and conferred and stipulated to an extension of time for Defendants to respond to Plaintiff's Complaint; and

WHEREAS, pursuant to Civil L.R. 6-1(a), this Stipulation is effective without a court order because it extends Defendants' time within which to answer or otherwise respond to the Complaint and does not alter any event or any deadline already fixed by the Court;

THEREFORE, IT IS HEREBY STIPULATED AND AGREED, by and through the Parties' respective counsel as follows:

Defendants' deadline to file a responsive pleading to Plaintiff's Complaint shall be extended to May 16, 2018.

FILER'S ATTESTATION

I, Kathy H. Gao, am the ECF user whose identification and password are being used to file this Stipulation on behalf of Defendants CENTRO WATT PROPERTY OWNER II, LLC and BRIXMOR PROPERTY GROUP, INC. and Plaintiff JAMES LLEWELLYN. In compliance with L.R. 5-1(i)(3), I hereby attest that Aaron M. Clefton concurs in this filing.

Source:  Leagle

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