Berns v. Premiere Credit of North America, LLC

Western District of Texas, txwd-5:2019-cv-00515

STIPULATION Extension of Time for Defendant to Answer or Otherwise Plead in Response to Plaintiff's Complaint by Premiere Credit of North America, LLC.

Interested in this case?

Current View

Full Text

UNITED STATES DISTRICT COURT WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION Irene S. Burns § § v. § Civil Action No. 5:19-cv-00515-OLG § Premiere Credit of North America, LLC § STIPULATED EXTENSION OF TIME FOR DEFENDANT TO ANSWER OR OTHERWISE PLEAD IN RESPONSE TO PLAINTIFF'S COMPLAINT Defendant Premiere Credit of North America ("Defendant" or "Premiere") and Plaintiff Irene Burns ("Plaintiff" or "Ms. Burns"), by and through their undersigned counsel, hereby stipulate that Defendant shall have until August 5, 2019 to answer or otherwise plead in response to Plaintiff's Complaint. Defendant is currently required to answer or respond to Plaintiff's Complaint by July 15, 2019. The parties are engaging in settlement discussions and are diligently working to resolve this matter, and are hopeful that this matter can be resolved without the need to continue with the current lawsuit. The extension to August 5, 2019 will allow the parties to continue settlement discussions which, if successful, would avoid additional litigation expenses should this case settle by August 5, 2019. This extension is sought in good faith and not for purposes of delay. A proposed order granting the stipulated extension is attached. 1 So Stipulated, LAW OFFICE OF BILL CLANTON, P.C. /s/ William Clanton* William M. Clanton [TBN #24049436] 926 Chulie Drive San Antonio, Texas 78216 (210) 226-0800 Telephone (210) 338-8660 Facsimile bill@clantonlawoffice.com * Signed with permission ATTORNEY FOR PLAINTIFF FROST BROWN TODD, LLC s/ Todd Harlow Todd Harlow [TBN #24036724] 100 Crescent Court, Suite 350 Dallas, TX 75201 (214) 580-5844 (Tel) (214) 545-3476 (Fax) tharlow@fbtlaw.com *Signed with permission ATTORNEY FOR DEFENDANT CERTIFICATE OF SERVICE I hereby certify that on July 12, 2019, I electronically filed the foregoing Stipulated Extension of Time for Defendant to Answer or Otherwise Plead in Response to Plaintiff's Complaint, which will send notification of such filing to the following: William M. Clanton LAW OFFICE OF BILL CLANTON, P.C. 926 Chulie Drive San Antonio, Texas bill@clantonlawoffice.com /s/ Todd J. Harlow Todd J. Harlow 2 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF TEXAS SAN ANTONIO DIVISION Irene S. Burns § § v. § Civil Action No. 5:19-cv-00515-OLG § Premiere Credit of North America, LLC § ORDER GRANTING EXTENSION OF TIME TO ANSWER OR OTHERWISE PLEAD IN RESPONSE TO PLAINTIFF'S COMPLAINT Upon consideration of the parties' Stipulated Extension of Time for Defendant to Answer or Otherwise Plead In Response To Plaintiff's Complaint, the Court orders that the Stipulation is hereby GRANTED and that Defendant's deadline to file an answer or otherwise plead in response to Plaintiff's Complaint shall be extended to and including August 5, 2019. IT IS SO ORDERED. Signed this ______ day of July, 2019. _______________________________________ HONORABLE ORLANDO L. GARCIA UNITED STATES DISTRICT JUDGE 0125668.0720935 4822-9749-2636v1 3