Filed: Jan. 02, 2018
Latest Update: Jan. 02, 2018
Summary: Stipulation and Order to Extend Time to Respond to Motions to Lift Stay and Enforce Settlement Agreement [Dockets 245 and 246] RICHARD F. BOULWARE, II , District Judge . It is hereby stipulated and agreed by and between counsel for Plaintiffs, Hannah C. Irsfeld, Esq., and counsel for Defendants, Valerie Del Grosso, Esq., that the Plaintiffs may have until January 5, 2018, to file their responses to Defendants Motions to Lift Stay and to Enforce Settlement Agreement [Docket 245 and Docket 24
Summary: Stipulation and Order to Extend Time to Respond to Motions to Lift Stay and Enforce Settlement Agreement [Dockets 245 and 246] RICHARD F. BOULWARE, II , District Judge . It is hereby stipulated and agreed by and between counsel for Plaintiffs, Hannah C. Irsfeld, Esq., and counsel for Defendants, Valerie Del Grosso, Esq., that the Plaintiffs may have until January 5, 2018, to file their responses to Defendants Motions to Lift Stay and to Enforce Settlement Agreement [Docket 245 and Docket 246..
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Stipulation and Order to Extend Time to Respond to Motions to Lift Stay and Enforce Settlement Agreement [Dockets 245 and 246]
RICHARD F. BOULWARE, II, District Judge.
It is hereby stipulated and agreed by and between counsel for Plaintiffs, Hannah C. Irsfeld, Esq., and counsel for Defendants, Valerie Del Grosso, Esq., that the Plaintiffs may have until January 5, 2018, to file their responses to Defendants Motions to Lift Stay and to Enforce Settlement Agreement [Docket 245 and Docket 246].
ORDER
It is so ordered.