Filed: Aug. 01, 2019
Latest Update: Aug. 01, 2019
Summary: STIPULATION AND ORDER EXTENDING DEFENDANT'S TIME TO RESPOND TO COMPLAINT ROBERT S. LASNIK , District Judge . STIPULATION The parties stipulate and agrees as follows: 1. Defendant Lakes Gas Co. was served with the Complaint in this case on July 17, 2019 and the time to file an answer or other responsive pleading to Plaintiff's Complaint is August 7, 2019. 2. The parties are currently engaged in settlement discussions and need additional time as they discuss a potential resolution. 3. Def
Summary: STIPULATION AND ORDER EXTENDING DEFENDANT'S TIME TO RESPOND TO COMPLAINT ROBERT S. LASNIK , District Judge . STIPULATION The parties stipulate and agrees as follows: 1. Defendant Lakes Gas Co. was served with the Complaint in this case on July 17, 2019 and the time to file an answer or other responsive pleading to Plaintiff's Complaint is August 7, 2019. 2. The parties are currently engaged in settlement discussions and need additional time as they discuss a potential resolution. 3. Defe..
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STIPULATION AND ORDER EXTENDING DEFENDANT'S TIME TO RESPOND TO COMPLAINT
ROBERT S. LASNIK, District Judge.
STIPULATION
The parties stipulate and agrees as follows:
1. Defendant Lakes Gas Co. was served with the Complaint in this case on July 17, 2019 and the time to file an answer or other responsive pleading to Plaintiff's Complaint is August 7, 2019.
2. The parties are currently engaged in settlement discussions and need additional time as they discuss a potential resolution.
3. Defendant's counsel has conferred with Plaintiff's counsel who have agreed to stipulate to an extension of time to August 27, 2019 for Defendant to file an answer or other responsive pleading to the Complaint.
THEREFORE, IT IS HEREBY STIPULATED AND AGREED, subject to an Order from the Court, that the time for Defendant Lakes Gas Co. to file an answer or other responsive pleading should be extended to August 27, 2019.
Dated: July 31, 2019
OF COUNSEL: PERKINS COIE (SEA)
James L. Bikoff By: /s/ William C. Rava
Holly Lance William C. Rava (WSBA No. 29948)
SMITH GAMBRELL & RUSSEL LLP 1201 Third Ave.
1055 Thomas Jefferson St., NW Suite 4900
Suite 400 Seattle, WA 98101-3099
Washington, DC 20007 Tel: (206) 583-8888
Tel: (202) 263-4300 WRava@perkinscoie.com
jbikoff@sgrlaw.com
hlance@sgrlaw.com Attorneys for Plaintiff DomainMarket, LLC
Dated: July 31, 2019 FREDRIKSON & BYRON, P.A.
By: /s/ Timothy M. O'Shea
Timothy O'Shea (WSBA No. 53268)
2504 42nd Avenue West
Seattle, WA 98199
Tel: (612) 492-7373
Email: toshea@fredlaw.com
Attorney for Defendant Lakes Gas Co.
ORDER
Based on the foregoing stipulation of the parties, it is hereby ordered that the time for Defendant to file an answer or other responsive pleading is extended to August 27, 2019.
IT IS SO ORDERED.