District Court, W.D. Washington, 2022

Costco Wholesale Corporation v. Department of the Army

Costco Wholesale Corporation v. Department of the Army
District Court, W.D. Washington · Decided January 11, 2022
Costco Wholesale Corporation v. Department of the Army

Trial Court Opinion

1 The Honorable Robert S. Lasnik UNITED STATES DISTRICT COURT 8 WESTERN DISTRICT OF WASHINGTON AT SEATTLE COSTCO WHOLESALE CORP., Case No. 2:21-cv-01388-RSL 11 Plaintiff, STIPULATION FOR EXTENSION OF TIME 12 v. DEPARTMENT OF THE ARMY, et al.

Defendant.

19 The parties, by and through their counsel of record, pursuant to Federal Rule of Civil Procedure 6 and Local Rules 10(g) and 16, hereby jointly stipulate and move for an extension of time for Defendants to respond to the Complaint. The parties agree that Defendants’ responsive pleading to the Complaint should be due January 24, 2022.

23 A court may modify a deadline for good cause. Fed. R. Civ. P. 6(b). Continuing pretrial and trial dates is within the discretion of the trial judge. See King v. State of California, 784 F.2d 910, 912 (9th Cir. 1986). The parties are currently attempting to resolve this matter without the need for litigation. Therefore, the parties believe good cause exists for a brief stay to allow the parties to continue their efforts to resolve the case and saving the Court and the parties from spending unnecessary time and resources on this matter.

3 Stipulated to and presented this 10th day of January, 2022.

4 WINTERBAUER & DIAMOND NICHOLAS W. BROWN United States Attorney s/ Nicholas Gillard-Byers s/ Nickolas Bohl NICHOLAS GILLARD-BYERS, WSBA #45707 NICKOLAS BOHL WSBA #48978 STEVEN H. WINTERBAUER, WSBA #16468 Assistant United States Attorney 7683 S.E. 27th St., #495 United States Attorney’s Office Mercer Island, WA 98040 700 Stewart Street, Suite 5220 Phone: 206-676-8440 Seattle, Washington 98101-1271 Email: [email protected] Phone: 206-553-7970 10 Fax: 206-553-4067 Counsel for Plaintiff Email: [email protected] Counsel for Defendants

1 ORDER > The parties having stipulated and agreed, it is hereby so ORDERED.

DATED this 11th day of January , 2022.

4 .

5 Wt S (anak 6 ROBERT S. LASNIK United States District Court Judge || STIPULATION FOR EXTENSION OF TIME UNITED STATES ATTORNEY 1-cv-1388-RSL 700 STEWART STREET. SUITE 5220

Case-law data current through December 31, 2025. Source: CourtListener bulk data.