Bryan Pringle v. William Adams Jr et al

Filing 107

FIRST STIPULATION Extending Time to Answer the complaint as to Interscope Records answer now due 2/14/2011; UMG Recordings Inc answer now due 2/14/2011, filed by Defendants Interscope Records; UMG Recordings Inc. (Attachments: # 1 Proposed Order Granting Stipulation to Extend Time for UMG Recordings, Inc. and Interscope Records to Answer Complaint)(Burrow, Linda)

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1 CALDWELL LESLIE & PROCTOR, PC LINDA M. BURROW, State Bar No. 194668 burrow@caldwell-leslie.com 2 HEATHER PEARSON, State Bar No. 235167 pearson@caldwell-leslie.com 3 1000 Wilshire Boulevard, Suite 600 4 Los Angeles, California 90017-2463 Telephone: (213) 629-9040 5 Facsimile: (213) 629-9022 6 Attorneys for Defendant UMG RECORDINGS, INC and 7 INTERSCOPE RECORDS. 8 UNITED STATES DISTRICT COURT 9 CENTRAL DISTRICT OF CALIFORNIA 10 SOUTHERN DIVISION 11 12 13 14 15 BRYAN PRINGLE, an individual, Plaintiff, v. WILLIAM ADAMS, JR.; STACY 16 FERGUSON; ALAN PINEDA; and JAIME GOMEZ, all individually and 17 collectively as the music group the Black Eyed Peas; DAVID GUETTA; 18 FREDERICK RIESTERER; UMG RECORDINGS, INC.; INTERSCOPE 19 RECORDS; EMI APRIL MUSIC, INC.; HEADPHONE JUNKIE 20 PUBLISHING, LLC.; WILL.I.AM MUSIC, LLC; JEEPNEY MUSIC, 21 INC.; TAB MAGNETIC PUBLISHING; CHERRY RIVER 22 MUSIC, CO.; SQUARE RIVOLI PUBLISHING; RISTER EDITIONS; 23 and SHAPIRO, BERNSTEIN & CO., 24 Case No. SACV 10-1656 JST (RZx) STIPULATION TO EXTEND TIME FOR UMG RECORDINGS, INC AND INTERSCOPE RECORDS TO ANSWER COMPLAINT Current Response Date: Feb. 10, 2011 New Response Date: Feb. 14, 2011 Defendants. 25 26 27 28 CALDWELL LESLIE & PROCTOR STIPULATION TO EXTEND TIME FOR UMG RECORDINGS, INC AND INTERSCOPE RECORDS TO RESPOND TO COMPLAINT 1 Defendants UMG Recordings, Inc. and Interscope Records (the “UMG 2 Defendants”) and Plaintiff Bryan Pringle, by and through their undersigned 3 attorneys, hereby stipulate as follows: 4 WHEREAS the UMG Defendants joined in Motions to Dismiss and Motions 5 to Strike the Complaint in this action on December 13, 2010; 6 WHEREAS the Court denied those Motions on January 23, 2011; 7 WHEREAS the UMG Defendants Answer to the Complaint is now due on 8 February 10, 2011; 9 WHEREAS on February 10, 2011 the Plaintiff and the UMG Defendants 10 agreed to a four day extension of the UMG Defendants’ deadline to respond to the 11 Complaint, making the UMG Defendants response due on February 14, 2011 and 12 the parties filed this stipulation agreeing to the extension; 13 // 14 // 15 // 16 17 18 19 20 21 22 23 24 25 26 27 28 CALDWELL LESLIE & PROCTOR -1- STIPULATION TO EXTEND TIME FOR UMG RECORDINGS, INC AND INTERSCOPE RECORDS TO RESPOND TO COMPLAINT 1 IT IS HEREBY STIPULATED by the parties that the UMG Defendants’ 2 should be granted until February 14, 2011 to file an Answer to the Complaint, and 3 the parties request the Court approve this extension. 4 5 DATED: February 10, 2011 Respectfully submitted, 6 CALDWELL LESLIE & PROCTOR, PC 7 8 9 By /s/ LINDA M. BURROW Attorneys for UMG RECORDINGS, INC AND INTERSCOPE RECORDS 10 11 12 DATED: February 10, 2011 MILLER CANFILED 13 14 15 16 17 By /s/ emailed authorization KATHLEEN E. KOPPENHOEFER Attorneys for BRYAN PRINGLE 18 19 20 21 22 23 24 25 26 27 28 CALDWELL LESLIE & PROCTOR -2- STIPULATION TO EXTEND TIME FOR UMG RECORDINGS, INC AND INTERSCOPE RECORDS TO RESPOND TO COMPLAINT

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