Christina Jackson, for herself, as a private attorney general, and/or on behalf...
Trial Court Opinion
5 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF WASHINGTON CHRISTINA JACKSON, for herself, as a Case No. 2:26-cv-0106 private attorney general, and/or on behalf of all others similarly situated, STIPULATED MOTION AND ORDER TO 9 Plaintiff, EXTEND TIME TO RESPOND TO CLASS ACTION COMPLAINT 10 v. NOTE ON MOTION CALENDAR: THE LIFE IS GOOD COMPANY, January 14, 2026 12 Defendant.
14 Under Western District of Washington Local Rules 7 and 10, Plaintiff Christina Jackson, on her own behalf and on behalf of all others similarly situated (“Plaintiff”) and Defendant The Life Is Good Company (“Life Is Good”), together (the “Parties”), by and through their respective counsel, hereby stipulate that Defendant’s deadline to respond to the Complaint in the above-captioned action is extended by a total of thirty days from January 20, 2026 to and including February 19, 2026.
19 A court may modify a deadline for good cause. Fed. R. Civ. P. 6(b). Indeed, modifying or extending a responsive deadline is within the discretion of the trial judge. See Johnson v. Mammoth Recreations, Inc., 975 F.2d 604, 609 (9th Cir. 1992).
22 Good cause exists for the extension of Defendant’s deadline to respond to the Complaint. This case was removed to this Court on January 12, 2026. Counsel for Defendant was only recently retained and seeks additional time to understand the allegations and determine the path forward for this litigation.
25 Accordingly, Defendant requests that the Court extend Defendant’s deadline to respond to the Complaint to February 19, 2026. The Parties agree that if Defendant decides to file a Motion to Dismiss that the || Parties’ briefing schedule shall be set pursuant to Code. The Parties have not made any previous requests || to extend this deadline.
Dated: January 13, 2026 Respectfully submitted, 5 /s/ Meegan B. Brooks MEEGAN B. BROOKS (WA 62516) 6 BENESCH, FRIEDLANDER, COPLAN & ARONOFF LLP 7 100 Pine Street, Suite 3100 San Francisco, CA 94111 8 Telephone: 628.600.2232 9 Email: [email protected] 10 Attorney for Defendant The Life Is Good Company 1] Dated: J anuary 13, 2026 /s/ David M. Trojanowski 3 David M. Trojanowski, Esq. (WSBA #56258) Z LAW, LLC 14 2345 York Road, Suite B-13 Timonium. Maryland 21093 15 Telephone: (443) 213-1977 16 Email: [email protected] 17 Attorney for Plaintiff Christina Jackson 18 ORDER 19 IT IS SO ORDERED.
20 Dated this 14" day of January, 2026.
22 lots 4. Chur 23 John H. Chun United States District Judge 28 STIPULATED MOTION AND ORDER TO EXTEND TIME TO RESPOND TO COMPLAINT - 2
Case-law data current through December 31, 2025. Source: CourtListener bulk data.