Kumar v. United States Department of Homeland Security ( 2022 )


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  • 1 The Honorable John H. Chun 2 3 4 5 6 7 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON 8 AT SEATTLE 9 CASE NO. 2:22-cv-1523-JHC SANJEEV KUMAR, et al., JOINT STIPULATION AND 10 Plaintiffs, ORDER TO EXTEND DEADLINE 11 v. NOTED FOR CONSIDERATION: DECEMBER 20, 2022 12 UNITED STATES DEPARTMENT OF 13 HOMELAND SECURITY, et al., Defendants. 14 15 The parties, by and through their counsel of record, pursuant to Federal Rule of Civil 16 Procedure 6 and Local Rules 10(g) and 16, hereby jointly stipulate and move to extend Defendants’ 17 time to respond to the Complaint until January 17, 2023. Plaintiffs are foreign nationals who bring 18 this litigation pursuant to the Administrative Procedure Act and the Mandamus Act seeking, inter 19 alia, to compel U.S. Citizenship and Immigration Services (“USCIS”) to adjudicate their I-485 20 applications, as well as any derivative applications. Dkt. No. 1. Defendants have yet to answer 21 the Complaint. Good cause exists to extend Defendants’ time to respond to the Complaint until 22 January 17, 2023. 23 24 1 A court may modify a deadline for good cause. Fed. R. Civ. P. 6(b). Continuing pretrial 2 and trial dates is within the discretion of the trial judge. See King v. State of California, 3 784 F.2d 910, 912 (9th Cir. 1986). 4 The parties are diligently working to resolve this litigation. USCIS has adjudicated ten of 5 the thirteen Plaintiffs’ applications and taken initial adjudicatory action on at least one other. 6 USCIS anticipates that initial adjudicatory action on the remaining petitions will occur shortly 7 during the normal course of business. To give the parties time to discuss potential resolution of 8 this case, as well as allow USCIS additional time to continue with its adjudications, the parties 9 stipulate and jointly request that the Court extend Defendants’ time to respond to the Complaint 10 until January 17, 2023. 11 // 12 // 13 // 14 // 15 // 16 // 17 // 18 // 19 // 20 // 21 // 22 // 23 // 24 // 1 DATED this 20th day of December, 2022. 2 Respectfully submitted, 3 NICHOLAS W. BROWN 4 United States Attorney 5 s/ Michelle R. Lambert MICHELLE R. LAMBERT, NYS #4666657 6 Assistant United States Attorney United States Attorney’s Office 7 1201 Pacific Avenue, Suite 700 Tacoma, WA 98402 8 Phone: 253-428-3824 Email: michelle.lambert@usdoj.gov 9 Attorney for Defendants 10 /s/ Al Roundtree 11 AL ROUNDTREE, WSBA 54851 Fox Rothschild LLP 12 1001 Fourth Ave., Ste 4400 Seattle, WA 98154 13 Phone: 206-624-3600 E-mail: aroundtree@foxrothschild.com 14 Attorneys for Plaintiffs 15 16 17 18 19 20 21 22 23 24 1 ORDER 2 The Parties having so stipulated and agreed, the Court hereby ORDERS that Defendants’ 3 time to respond to the Complaint be extended until January 17, 2023. 4 5 Dated this 20th day of December , 2022. 6 7 A 8 JOHN H. CHUN United States District Judge 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24

Document Info

Docket Number: 2:22-cv-01523

Filed Date: 12/20/2022

Precedential Status: Precedential

Modified Date: 11/4/2024