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UNIVERSAL SECURITY AND FIRE, INC. v. ALPHA ALARM & AUDIO, INC., 2:17-cv-00844-TLN-CKD. (2017)

Court: District Court, E.D. California Number: infdco20170629b91 Visitors: 14
Filed: Jun. 28, 2017
Latest Update: Jun. 28, 2017
Summary: STIPULATION AND ORDER RE: EXTENSION OF TIME UNTIL JULY 5, 2017 FOR DEFENDANT, FRANK CHARLES YANEZ TO RESPOND TO PLAINTIFF'S COMPLAINT TROY L. NUNLEY , District Judge . Pursuant to Civil Local Rule 1, Plaintiff, UNIVERSAL SECURITY AND FIRE, INC. and Defendant, FRANK CHARLES YANEZ, by and through their respective attorneys of record, Omar M. Farooqui, Jennifer E. Duggan, and Christina M. Bucci, stipulate as follows: 1. Defendant, FRANK CHARLES YANEZ is granted an extension of time until July
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STIPULATION AND ORDER RE: EXTENSION OF TIME UNTIL JULY 5, 2017 FOR DEFENDANT, FRANK CHARLES YANEZ TO RESPOND TO PLAINTIFF'S COMPLAINT

Pursuant to Civil Local Rule 1, Plaintiff, UNIVERSAL SECURITY AND FIRE, INC. and Defendant, FRANK CHARLES YANEZ, by and through their respective attorneys of record, Omar M. Farooqui, Jennifer E. Duggan, and Christina M. Bucci, stipulate as follows:

1. Defendant, FRANK CHARLES YANEZ is granted an extension of time until July 5, 2017 to respond or otherwise plead in reference to Plaintiff, UNIVERSAL SECURITY AND FIRE INC.'s Complaint;

2. Defendant, FRANK CHARLES YANEZ's response, including, but not limited to any motions to dismiss, motions to compel arbitration, or motions related to personal jurisdiction, will be due no later than July 5, 2017.

3. The reason for the requested enlargement of time is for the purpose of the parties to meet and confer as to the deficiencies in the operative Complaint without incurring the costs and fees associated with any motions to dismiss, motion to compel arbitration, or motions related to personal jurisdiction;

4. No prior modifications have been made in the case by stipulation or by Court order;

5. The requested time modification should have no effect on the overall schedule for the case.

IT IS SO STIPULATED effective as of June 27, 2017.

ATTESTATION OF CONCURRENCE

I, Christina M. Bucci, attest that I am one of the attorneys for Defendant, FRANK CHARLES YANEZ. As the ECF user and filer of this document, I attest that concurrence in the filing of this document has been obtained from its signatories.

Dated: June 27, 2017. DUGGAN LAW CORPORATION By: /s/ Christina M. Bucci ______________________________________ Jennifer E. Duggan Christina M. Bucci Attorneys for Defendant, FRANK CHARLES YANEZ

ORDER

Upon consideration of the foregoing Stipulation, and good cause appearing therefore,

IT IS HEREBY ORDERED:

1. Defendant, FRANK CHARLES YANEZ is ordered to file his response to Plaintiff, UNIVERSAL SECURITY AND FIRE, INC.'s Complaint, including, but not limited to, any motions to dismiss, motions to compel arbitration, or motions related to personal jurisdiction, no later than June 27, 2017.

Source:  Leagle

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