Moore v. United States, C19-1717-JLR. (2020)
Court: District Court, D. Washington
Number: infdco20200228b68
Visitors: 20
Filed: Feb. 24, 2020
Latest Update: Feb. 24, 2020
Summary: STIPULATED MOTION AND PROPOSED ORDER FOR TEMPORARY STAY OF CASE JOINT STIPULATED MOTION JAMES L. ROBART , District Judge . The parties, by and through their counsel of record, hereby STIPULATE AND AGREE that this case should be stayed for good cause, and respectfully move this Court to stay this case for 30 days, February 25, 2020 to March 26, 2020. The parties agree that good cause exists for the stay because defendant has recently mailed to plaintiff the relief he seeks from this lawsui
Summary: STIPULATED MOTION AND PROPOSED ORDER FOR TEMPORARY STAY OF CASE JOINT STIPULATED MOTION JAMES L. ROBART , District Judge . The parties, by and through their counsel of record, hereby STIPULATE AND AGREE that this case should be stayed for good cause, and respectfully move this Court to stay this case for 30 days, February 25, 2020 to March 26, 2020. The parties agree that good cause exists for the stay because defendant has recently mailed to plaintiff the relief he seeks from this lawsuit..
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STIPULATED MOTION AND PROPOSED ORDER FOR TEMPORARY STAY OF CASE
JOINT STIPULATED MOTION
JAMES L. ROBART, District Judge.
The parties, by and through their counsel of record, hereby STIPULATE AND AGREE that this case should be stayed for good cause, and respectfully move this Court to stay this case for 30 days, February 25, 2020 to March 26, 2020. The parties agree that good cause exists for the stay because defendant has recently mailed to plaintiff the relief he seeks from this lawsuit in the form of a UPIN, but plaintiff needs additional time to verify that this UPIN allows him to proceed with purchase of a firearm, Once plaintiff has verified that he has successfully received the relief he seeks, he will voluntarily dismiss this lawsuit. Accordingly, the parties respectfully request that the Court grant this stipulated motion.
DATED this 24th day of February, 2020.
VITALIY KERTCHEN, ESQ. BRIAN T. MORAN
United States Attorney
s/ Vitaliy Kertchen s/ Kristen R. Vogel
VITALIY KERTCHEN, WSBA No. 45183 KRISTEN R. VOGEL, NYBA No. 5195664
Kertchen Law PLLC Assistant United States Attorney
917 S 10th St. United States Attorney's Office
Tacoma, WA 98405 700 Stewart Street, Suite 5220
Phone: (253) 905-8415 Seattle, WA 98101-1271
Email: vitaliy@kertchenlaw.com Phone: 206-553-7970
Fax: 206-553-4067
Attorney for Plaintiff Email: kristen.vogel@usdoj.gov
Attorney for Defendant
ORDER
The parties having so stipulated and agreed, it is hereby SO ORDERED that this case is stayed until March 26, 2020.
Source: Leagle