Filed: May 22, 2019
Latest Update: May 22, 2019
Summary: DEFENDANT CORELOGIC CREDCO, LLC'S UNOPPOSED MOTION FOR EXTENSION OF TIME TO ANSWER, RESPOND, OR OTHERWISE PLEAD TO PLAINTIFFS' AMENDED COMPLAINT C.W. HOFFMAN, JR. , Magistrate Judge . Defendant, CoreLogic Credco, LLC (improperly named in the Complaint as CorelLogic Credco, LLC) ("Credco" or "Defendant"), by and through its attorneys of record, the law firms of GREENBERG TRAURIG, LLP and FOLEY & LARDNER, LLP, hereby moves this Court for an extension of time to answer, respond, or otherwise p
Summary: DEFENDANT CORELOGIC CREDCO, LLC'S UNOPPOSED MOTION FOR EXTENSION OF TIME TO ANSWER, RESPOND, OR OTHERWISE PLEAD TO PLAINTIFFS' AMENDED COMPLAINT C.W. HOFFMAN, JR. , Magistrate Judge . Defendant, CoreLogic Credco, LLC (improperly named in the Complaint as CorelLogic Credco, LLC) ("Credco" or "Defendant"), by and through its attorneys of record, the law firms of GREENBERG TRAURIG, LLP and FOLEY & LARDNER, LLP, hereby moves this Court for an extension of time to answer, respond, or otherwise pl..
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DEFENDANT CORELOGIC CREDCO, LLC'S UNOPPOSED MOTION FOR EXTENSION OF TIME TO ANSWER, RESPOND, OR OTHERWISE PLEAD TO PLAINTIFFS' AMENDED COMPLAINT
C.W. HOFFMAN, JR., Magistrate Judge.
Defendant, CoreLogic Credco, LLC (improperly named in the Complaint as CorelLogic Credco, LLC) ("Credco" or "Defendant"), by and through its attorneys of record, the law firms of GREENBERG TRAURIG, LLP and FOLEY & LARDNER, LLP, hereby moves this Court for an extension of time to answer, respond, or otherwise plead to Plaintiffs' Amended Complaint [Docket No. 54] (the "Amended Complaint"). On May 3, 2019, Plaintiffs filed the Amended Complaint. Thus, the current deadline to file a response to the Amended Complaint is May 17, 2019.
Credco respectfully requests that its deadline to answer, respond, or otherwise plead to the Amended Complaint be continued from May 17, 2019 to June 6, 2019. On May 17, 2019, Plaintiffs advised that they do not object to Credco seeking a twenty-day extension.1 Credco seeks this extension to allow it sufficient time to investigate and respond to the claims in the Amended Complaint. This motion is submitted in good faith and not for the purpose of delay.
DATED this 17th day of May 2019.
GREENBERG TRAURIG, LLP
/s/ Jacob D. Bundick
JACOB D. BUNDICK, ESQ.
Nevada Bar No. 9722
10845 Griffith Peak Drive, Suite 600
Las Vegas, NV 89135
CHRISTI A. LAWSON, ESQ.
(admitted pro hac vice)
FOLEY & LARDNER LLP
111 North Orange Ave., Suite 1800
Orlando, Florida 32801-2386
Attorneys for Defendant
CoreLogic Credco, LLC
IT IS SO ORDERED.