Filed: Aug. 18, 2017
Latest Update: Aug. 18, 2017
Summary: STIPULATION AND ORDER TO EXTEND TIME TO ANSWER OR OTHERWISE PLEAD (FIRST REQUEST) PEGGY A. LEEN , Magistrate Judge . COMES NOW, Defendant, FMMR INVESTMENTS INC. d/b/a RAPID CASH, ("DEFENDANT" or ""RAPID CASH") by and through its attorney of record, GARY E. SCHNITZER, ESQ., of the law firm of KRAVITZ, SCHNITZER & JOHNSON, CHTD., and the Plaintiff, MELISSA SANDBERG, by and through her attorney of record, MICHAEL KIND, ESQ., of the law firm of KAZEROUNI LAW GROUP, APC, and hereby submit this
Summary: STIPULATION AND ORDER TO EXTEND TIME TO ANSWER OR OTHERWISE PLEAD (FIRST REQUEST) PEGGY A. LEEN , Magistrate Judge . COMES NOW, Defendant, FMMR INVESTMENTS INC. d/b/a RAPID CASH, ("DEFENDANT" or ""RAPID CASH") by and through its attorney of record, GARY E. SCHNITZER, ESQ., of the law firm of KRAVITZ, SCHNITZER & JOHNSON, CHTD., and the Plaintiff, MELISSA SANDBERG, by and through her attorney of record, MICHAEL KIND, ESQ., of the law firm of KAZEROUNI LAW GROUP, APC, and hereby submit this ..
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STIPULATION AND ORDER TO EXTEND TIME TO ANSWER OR OTHERWISE PLEAD
(FIRST REQUEST)
PEGGY A. LEEN, Magistrate Judge.
COMES NOW, Defendant, FMMR INVESTMENTS INC. d/b/a RAPID CASH, ("DEFENDANT" or ""RAPID CASH") by and through its attorney of record, GARY E. SCHNITZER, ESQ., of the law firm of KRAVITZ, SCHNITZER & JOHNSON, CHTD., and the Plaintiff, MELISSA SANDBERG, by and through her attorney of record, MICHAEL KIND, ESQ., of the law firm of KAZEROUNI LAW GROUP, APC, and hereby submit this Stipulation to Extend Time To File An Answer or Otherwise Plead.
WHEREAS, Plaintiff filed her Complaint on July 5, 2017;
WHEREAS, Defendant's current deadline to file its Response to the Complaint is approximately September 1, 2017;
WHEREAS, Defendant is in the process of obtaining proper documents in order to address specific allegations made in Plaintiff's Complaint;
WHEREAS, Defendant seeks up to and including September 18, 2017 to file its Response and Plaintiff has no opposition to this extension;
WHEREAS, this is the first request by the Parties seeking such extension;
THEREFORE, in consideration of the foregoing, and for good cause, IT IS HEREBY STIPULATED AND AGREED by and between the Parties as follows:
(1) The current approximate deadline of September 1, 2017 for Defendant RAPID CASH to file its Response to Plaintiff's Complaint is hereby vacated;
(2) Defendant RAPID CASH shall have up to and including September 18, 2017 to file an Answer or Otherwise Plead to Plaintiff's Complaint.
IT IS SO STIPULATED.
IT IS ORDERED.