Filed: Aug. 02, 2019
Latest Update: Aug. 02, 2019
Summary: STIPULATION AND ORDER TO EXTEND BRIEFING SCHEDULE (SECOND REQUEST) JEREMY D. PETERSON , Magistrate Judge . TO THE HONORABLE JEREMY D. PETERSON, MAGISTRATE JUDGE OF THE DISTRICT COURT: The parties, by and through their respective counsel, hereby stipulate to extend the time in which plaintiff must file her opening brief for a period of seven days from July 31, 2019, to and including August 7, 2019, and that all subsequent deadlines set forth in the scheduling order, Doc. No. 5, are extende
Summary: STIPULATION AND ORDER TO EXTEND BRIEFING SCHEDULE (SECOND REQUEST) JEREMY D. PETERSON , Magistrate Judge . TO THE HONORABLE JEREMY D. PETERSON, MAGISTRATE JUDGE OF THE DISTRICT COURT: The parties, by and through their respective counsel, hereby stipulate to extend the time in which plaintiff must file her opening brief for a period of seven days from July 31, 2019, to and including August 7, 2019, and that all subsequent deadlines set forth in the scheduling order, Doc. No. 5, are extended..
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STIPULATION AND ORDER TO EXTEND BRIEFING SCHEDULE
(SECOND REQUEST)
JEREMY D. PETERSON, Magistrate Judge.
TO THE HONORABLE JEREMY D. PETERSON, MAGISTRATE JUDGE OF THE DISTRICT COURT:
The parties, by and through their respective counsel, hereby stipulate to extend the time in which plaintiff must file her opening brief for a period of seven days from July 31, 2019, to and including August 7, 2019, and that all subsequent deadlines set forth in the scheduling order, Doc. No. 5, are extended accordingly.
This second request is made on behalf of counsel for plaintiff. Counsel has had an unanticipated increase in workload due to having to cover for another attorney who has been off on medical leave. Counsel apologizes to the court for the delay. Counsel does anticipate that he will be able to file the opening brief well within the seven extra days requested. On behalf of counsel for plaintiff, the parties respectfully request the granting of this request for the proper briefing of this matter.
IT IS SO STIPULATED.
DATED: July 31, 2019 Respectfully submitted,
LAW OFFICES OF LAWRENCE D. ROHLFING
/s/ Young Cho
BY:_________________________
Young Cho
Attorney for plaintiff DEBORAH LYNN PIPER
Dated: July 31, 2019 McGREGOR W. SCOTT
United States Attorney
BY: /s/ Marcelo N. Illarmo
MARCELO N. ILLARMO
Special Assistant United States Attorney
Attorneys for Defendant ANDREW M. SAUL,
Commissioner of Social Security (Per email
authorization)
ORDER
The parties' stipulation for extension is approved.
IT IS SO ORDERED.