Filed: Jan. 22, 2018
Latest Update: Jan. 22, 2018
Summary: STIPULATION TO EXTEND TIME FOR DEFENDANT TO FILE AN ANSWER TO INITIAL COMPLAINT BY NOT MORE THAN 28 DAYS (L.R. 144(a)) MORRISON C. ENGLAND, JR. , District Judge . STIPULATION AND REQUEST TO EXTEND TIME TO FILE AN ANSWER TO INITIAL COMPLAINT Plaintiff Scott Johnson, ("Plaintiff") and Defendants Stephen J. Heck, (deceased), individually and as Trustee of the Stephen J. Heck and Colleen Heck Revocable Trust, Grantland Heck, individually and as Trustee of the Stephen J. Heck and Colleen Heck
Summary: STIPULATION TO EXTEND TIME FOR DEFENDANT TO FILE AN ANSWER TO INITIAL COMPLAINT BY NOT MORE THAN 28 DAYS (L.R. 144(a)) MORRISON C. ENGLAND, JR. , District Judge . STIPULATION AND REQUEST TO EXTEND TIME TO FILE AN ANSWER TO INITIAL COMPLAINT Plaintiff Scott Johnson, ("Plaintiff") and Defendants Stephen J. Heck, (deceased), individually and as Trustee of the Stephen J. Heck and Colleen Heck Revocable Trust, Grantland Heck, individually and as Trustee of the Stephen J. Heck and Colleen Heck R..
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STIPULATION TO EXTEND TIME FOR DEFENDANT TO FILE AN ANSWER TO INITIAL COMPLAINT BY NOT MORE THAN 28 DAYS (L.R. 144(a))
MORRISON C. ENGLAND, JR., District Judge.
STIPULATION AND REQUEST TO EXTEND TIME TO FILE AN ANSWER TO INITIAL COMPLAINT
Plaintiff Scott Johnson, ("Plaintiff") and Defendants Stephen J. Heck, (deceased), individually and as Trustee of the Stephen J. Heck and Colleen Heck Revocable Trust, Grantland Heck, individually and as Trustee of the Stephen J. Heck and Colleen Heck Revocable Trust, and Marshall Auto, Inc. (collectively "Defendants"), jointly stipulate to extend the time for Defendants to file an answer to the initial complaint from January 16, 2018 to February 9, 2018.
IT IS SO STIPULATED.
ORDER
Pursuant to the stipulation of the parties, and good cause appearing, the deadline by which Defendants shall file an answer to the initial complaint is hereby extended from January 16, 2018, to February 9, 2018.
IT IS SO ORDERED.
SIGNATURE ATTESTATION
I hereby attest that all signatures listed above, on whose behalf this Stipulation is submitted, concur in the filing's content and have authorized the filing.
Dated: January 12, 2018. CREGGER & CHALFANT LLP
By: /s/ Thomas A. Cregger
THOMAS A. CREGGER
Attorney for Defendants