Assented to Motion for Extension of Time to June 22, 2026 to File Responsive Pleading and Rule 12 Motion Pending Settlement by Staples, Inc..(Goodwin, Samuel)
Plaintiff, v.
Defendant. WHEREFORE, the Parties jointly request the Court continue Staples’s responsive pleading deadline for one month pending settlement. Dated: May 19, 2026
Respectfully submitted, /s/ Samuel B. Goodwin Samuel B. Goodwin (BBO # 699138) DEMEO LLP 66 Long Wharf Boston, MA 02110 Tel: (617) 263-2600 [email protected] LOCAL RULE 7.1 CERTIFICATION
I, Samuel B. Goodwin, hereby certify that on May 19, 2026, I communicated with Plaintiff’s counsel, who has assented to the relief requested herein.
/s/ Samuel B. Goodwin Samuel B. Goodwin CERTIFICATE OF SERVICE
I hereby certify that this document served on opposing counsel on May 19, 2026 by electronic mail.
/s/ Samuel B. Goodwin Samuel B. Goodwin
Transcribed from the public court filing · view original PDF
Public U.S. federal court record (district court docket 73109355, document 8). Source via the RECAP Archive (Free Law Project). The same record is available from PACER. Informational only — not legal advice.