RICHARD SEEBORG, District Judge.
TO THE HONORABLE COURT:
The parties hereto, Plaintiff Nikki Howell ("Plaintiff") and Defendant IQ Data International, Inc. ("IQ Data"), by and through their respective counsel of record, hereby stipulate as follows:
WHEREAS, Plaintiff filed her Complaint on September 14, 2016, and IQ Data was served with the Complaint on October 18, 2016.
WHEREAS, IQ Data's current deadline to file a response to the Complaint is January 5, 2017.
WHEREAS, the parties are currently engaged in discussions regarding potential early resolution of this matter and would like to complete such discussions before IQ Data is required to respond to the Complaint, and believe they require an additional 30 days to do so.
WHEREAS, there has been two prior, 30-day extensions of time to respond to the Complaint.
WHEREAS, Plaintiff and IQ Data do not anticipate that this extension of time will alter the date of any event or any deadline already fixed by Court order.
IT IS HEREBY STIPULATED by and between Plaintiff and IQ Data through their respective counsel of record that the deadline for IQ Data to respond is extended up to February 6, 2017.
IT IS SO STIPULATED.
I, Jordan S. Altura, am the ECF user whose ID and password are being used to file this Stipulation to Extend Time to Respond to Complaint. In compliance with Local Rule 5-1(i), I hereby attest that Jim G. Price, counsel for Plaintiff Nikki Howell, has concurred in this filing. Dated: December 29, 2016.