Data Scape Limited v. Amazon.Com, Inc. et al

Western District of Texas, txwd-6:2019-cv-00314

Unopposed MOTION for Extension of Time to File Answer or Otherwise Respond to Complaint by Amazon Digital Services, LLC, Amazon.Com, Inc.

Interested in this case?

Current View

Full Text

IN THE UNITED STATES DISTRICT COURT WESTERN DISTRICT OF TEXAS WACO DIVISION DATA SCAPE LIMITED, Plaintiff, Case No. 6:19-cv-00314-ADA v. JURY TRIAL DEMANDED AMAZON.COM, INC., AMAZON DIGITAL SERVICES, LLC, Defendants. UNOPPOSED MOTION FOR EXTENSION OF TIME TO ANSWER OR OTHERWISE RESPOND TO COMPLAINT Defendants Amazon.com, Inc. and Amazon Digital Services, LLC (collectively, "Amazon") respectfully move for a 30-day extension to answer or otherwise respond to the complaint of plaintiff Data Scape Limited ("Data Scape"). Counsel for Amazon conferred with counsel for Data Scape prior to filing this motion, who confirmed that Data Scape does not oppose Amazon's requested extension. Data Scape filed its complaint on May 21, 2019. Amazon's current deadline to respond to the complaint is July 8, 2019. Amazon requests an extension to respond up to and including August 7, 2019. This motion is not made for delay, but only to permit orderly resolution of issues in the case. Amazon therefore respectfully requests that the Court extend the time for Amazon to answer or otherwise respond to the complaint by 30 days up to and including August 7, 2019. Dated: July 8, 2019 Respectfully, submitted, /s/ Melissa R. Smith Melissa R. Smith State Bar No. 24001351 GILLAM & SMITH, LLP 303 South Washington Ave. Marshall, TX 75670 Telephone: (903) 934-8450 Facsimile: (903) 934-9257 Email: melissa@gillamsmithlaw.com Counsel for Defendants AMAZON.COM, INC., AMAZON DIGITAL SERVICES, LLC CERTIFICATE OF SERVICE The undersigned hereby certifies that all counsel of record who are deemed to have consented to electronic service are being served with a copy of this document via the Court's CM/ECF system per Local Rule CV-5(b)(1) on July 8, 2019. /s/ Melissa R. Smith Melissa R. Smith 2