Opinion
2:23-CV-01687-TL
07-22-2024
WASHINGTON CIVIL & DISABILITY ADVOCATE By Conrad Reynoldson, WSBA #48187, Marielle Maxwell, WSBA #54957, DOBSON HICKS PLLC By Aubrie D. Hicks, WSBA #46446 Attorneys for Plaintiff SEYFARTH SHAW LLP By: Andrew R. Escobar, Minh N. Vu (Pro hac vice) SEYFARTH SHAW LLP, Michael E. Steinberg (Pro hac vice) SEYFARTH SHAW LLP Counsel for Defendant
WASHINGTON CIVIL & DISABILITY ADVOCATE By Conrad Reynoldson, WSBA #48187, Marielle Maxwell, WSBA #54957, DOBSON HICKS PLLC By Aubrie D. Hicks, WSBA #46446 Attorneys for Plaintiff
SEYFARTH SHAW LLP By: Andrew R. Escobar, Minh N. Vu (Pro hac vice) SEYFARTH SHAW LLP, Michael E. Steinberg (Pro hac vice) SEYFARTH SHAW LLP Counsel for Defendant
ORDER RE: STIPULATED MOTION TO STAY ACTION
TANA LIN, UNITED STATES DISTRICT JUDGE
IT IS SO ORDERED that this action is hereby stayed for an additional thirty (30) days, through and including August 30, 2024, to facilitate the Parties' discussions regarding the terms of a potential resolution of this action. Either Party may request that the stay be lifted during this period if that Party believes that insufficient progress is being made towards a resolution. The Parties shall submit a joint status report to the Court on or before August 30, 2024.