Opinion
2:23-cv-01159-TL
07-19-2024
Alexander Vitruk, WSBA No. 57337 Logan F. Peppin, WSBA No. 55704 BAKER & HOSTETLER LLP Paul G. Karlsgodt, WSBA No. 40311 Baker & Hostetler LLP
Note on Motion Calendar: Friday, July 19, 2024
Alexander Vitruk, WSBA No. 57337 Logan F. Peppin, WSBA No. 55704 BAKER & HOSTETLER LLP
Paul G. Karlsgodt, WSBA No. 40311 Baker & Hostetler LLP
[PROPOSED] ORDER GRANTING STIPULATED MOTION TO EXTEND DEADLINE TO RESPOND TO AMENDED COMPLAINT
WITHOUT ORAL ARGUMENT
THE HONORABLE TANA LIN
THIS MATTER came before this Court upon the Parties' Stipulated Motion to Extend Deadline to Respond to Amended Complaint (the “Stipulation”).
Having reviewed the Stipulation, being fully advised on the matter, and for good cause shown, IT IS HEREBY ORDERED that the Stipulation is GRANTED. It is FURTHER ORDERED that Defendant Overlake Hospital Medical Center's deadline to answer, move, or otherwise plead in response to Plaintiff's Amended Complaint is July 26, 2024.
IT IS SO ORDERED.