RICHARD F. BOULWARE, II, District Judge.
Pursuant to LR 6-1 and LR 7-2(b), Plaintiff and Experian Information Solutions, Inc. (the "Parties"), by and through their respective counsel of record, hereby stipulate and request that this Court modify the briefing schedules for the Parties' respective Motions for Summary Judgment (`Summary Judgment Motions"), as well as Plaintiff's Motion for Class Certification and Appointment of Class Counsel ("Class Certification Motion.").
1. On November 1, 2018, Plaintiff filed his Summary Judgment Motion. ECF Dkt. 90.
2. On November 1, 2018, Plaintiff filed his Class Certification Motion. ECF Dkt. 94.
3. On November 1, 2018, Experian filed its Summary Judgment Motion. ECF Dkt. 98.
4. On November 15, 2018, Experian responded to Plaintiff's Class Certification Motion, ECF Dkt. 106.
5. Plaintiff's reply in support of his Class Certification Motion, and the Parties' respective responses to the Summary Judgment Motions, are all presently due on November 23, 2018, one day after the Thanksgiving holiday.
6. In light of the number of filings to be made one day after a major national holiday, the parties request that the briefing deadlines be re-set as follows:
7. Reply in support of Class Certification Motion:
8. Responses to Summary Judgment Motions:
9. Replies in support of Summary Judgment Motions:
This is the parties' first request to re-set these briefing deadlines. The requested extensions are being made in good faith and not for purposes of delay.
IT IS SO STIPULATED.