Filed: Mar. 18, 2019
Latest Update: Mar. 18, 2019
Summary: DEFENDANT'S UNOPPOSED MOTION FOR EXTENSION OF TIME CAM FERENBACH , Magistrate Judge . IT IS HEREBY STIPULATED, by and between Teniya G. Davis (Plaintiff) and Nancy A. Berryhill, Acting Commissioner of Social Security (Defendant), by and through their respective counsel of record, that Defendant shall have an extension of time of thirty (30) days to deliver her Motion for Summary Judgment and in Opposition to Plaintiff's Motion for Summary Judgment. The current due date is March 8, 2019. The
Summary: DEFENDANT'S UNOPPOSED MOTION FOR EXTENSION OF TIME CAM FERENBACH , Magistrate Judge . IT IS HEREBY STIPULATED, by and between Teniya G. Davis (Plaintiff) and Nancy A. Berryhill, Acting Commissioner of Social Security (Defendant), by and through their respective counsel of record, that Defendant shall have an extension of time of thirty (30) days to deliver her Motion for Summary Judgment and in Opposition to Plaintiff's Motion for Summary Judgment. The current due date is March 8, 2019. The ..
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DEFENDANT'S UNOPPOSED MOTION FOR EXTENSION OF TIME
CAM FERENBACH, Magistrate Judge.
IT IS HEREBY STIPULATED, by and between Teniya G. Davis (Plaintiff) and Nancy A. Berryhill, Acting Commissioner of Social Security (Defendant), by and through their respective counsel of record, that Defendant shall have an extension of time of thirty (30) days to deliver her Motion for Summary Judgment and in Opposition to Plaintiff's Motion for Summary Judgment. The current due date is March 8, 2019. The new due date will be April 8, 2019. The parties further stipulate that all other dates will be extended accordingly.
This is the first extension of time requested by Defendant in the above-captioned matter. Defendant requests this extension because the attorney underwent a medical procedure last week and requires time to recuperate. This request is made in good faith with no intention to unduly delay the proceedings. Counsel for Defendant conferred with Plaintiff's counsel, who has no opposition to this motion, on March 5, 2019. It is therefore respectfully requested that Defendant be granted a thirty (30) day extension of time to respond to Plaintiff's motion, up to and including April 8, 2019.
IT IS SO ORDERED.
IT IS HEREBY CERTIFIED THAT:
I, Gina Tomaselli, certify that the following individual(s) were served with a copy of the foregoing UNOPPOSED MOTION FOR EXTENSION OF TIME on the date and via the method of service identified below:
CM/ECF:
Cyrus Safa
Law Offices of Lawrence D. Rohlfing
12631 E. Imperial Highway, Suite C-115
Santa Fe Springs, CA 90670
Email: cyrus.safa@rohlfinglaw.com
Gerald Welt
Gerald M. Welt, Chtd.
732 S. Sixth Street, Ste. 200-D
Las Vegas, NV 89101
Email: gmwesq@weltlaw.com
I declare under penalty of perjury that the foregoing is true and correct.
Dated: March 5, 2019 By: /s/Gina Tomaselli
GINA TOMASELLI
Special Assistant United States Attorney
Attorneys for Defendant