Free Stipulation - District Court of Arizona - Arizona


File Size: 65.4 kB
Pages: 2
Date: February 23, 2006
File Format: PDF
State: Arizona
Category: District Court of Arizona
Author: unknown
Word Count: 314 Words, 2,029 Characters
Page Size: Letter (8 1/2" x 11")
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David N. Ingrassia (#010936) DAVID N. INGRASSIA, P.C. 1212 East Osborn Road Phoenix, Arizona 85014 Telephone: (602) 604-0099 Facsimile: (602) 604-0110 Attorneys for Plaintiffs IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF ARIZONA CITICAPITAL TECHNOLOGY FINANCE, INC., formerly known as EAB Leasing Corp., a Pennsylvania corporation, and CITICAPITAL COMMERCIAL LEASING CORPORATION, formerly known as Associates Leasing, Inc., an Indiana corporation, Plaintiffs, vs. GRANT H. GOODMAN AND TERI B. GOODMAN, husband and wife, Defendants. Plaintiffs, Citicapital Technology Finance, Inc., and General Electric Capital Corporation (collectively "Plaintiffs"), and Defendants Grant and Teri Goodman (collectively "Defendants"), by their respective counsel undersigned, hereby stipulate and agree to the following: 1. On February 13, 2006, the Court held a Final Pretrial Conference in the Case No. CV03-1587 PHX JAT

STIPULATION TO EXTEND TIME TO FILE REVISED PROPOSED JOINT PRETRIAL ORDER (FIRST REQUEST)

above-captioned matter and set the Trial in this case on June 20, 2006. Additionally, at
Case 2:03-cv-01587-JAT Document 62 Filed 02/23/2006 Page 1 of 2

that hearing, the Court entered an Order directing the parties to submit a revised proposed Joint Pretrial Order by no later than the close of business on February 27, 2006. 2. Plaintiffs and Defendants need additional time to adequately prepare the

revised proposed Joint Pretrial Order in the case and therefore respectfully request this Court to enter an Order extending the deadline for the parties to do so until March 13, 2006. 3. The parties therefore respectfully request the Court to enter the

concurrently lodged Order extending the deadline.

RESPECTFULLY submitted this 23rd day of February, 2006.

DAVID N. INGRASSIA, P.C.

/s/ David N. Ingrassia David N. Ingrassia Attorneys for Plaintiffs

GRANT H. GOODMAN, PLLC

/s/ Grant H. Goodman Grant H. Goodman Attorney for Defendants

Case 2:03-cv-01587-JAT

2 Document 62

Filed 02/23/2006

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