Hejduk v. Spin Master Corp, et al.
Filing
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ORDER TO EXTEND TIME TO RESPOND TO COMPLAINT TO APRIL 4, 2017. Signed by Magistrate Judge Stanley A. Boone on 3/28/2017. (Hernandez, M)
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Ryan D. Evans (SBN: 295600)
revans@winston.com
Scott J. Fishwick (SBN: 308661)
sfishwick@winston.com
WINSTON & STRAWN LLP
333 S. Grand Avenue
Los Angeles, CA 90071-1543
Telephone: (213) 615-1700; Fax: (213) 615-1750
Ronald Y. Rothstein (Admitted pro hac vice)
rrothstein@winston.com
WINSTON & STRAWN LLP
35 W. Wacker Drive
Chicago, IL 60601
Telephone: (312) 558-7464; Fax: (312) 558-5700
Attorneys for Defendants
SPIN MASTER CORP., SPIN MASTER INC.
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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JODIE HEJDUK, individually and on
behalf of all others similarly situated
Plaintiffs,
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v.
SPIN MASTER CORP., and SPIN
MASTER, INC.,
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Defendants.
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Case No. 1:17-cv-00093-DAD-SAB
STIPULATION TO EXTEND TIME
TO RESPOND TO COMPLAINT;
ORDER
Plaintiff JODIE HEJDUK (“Plaintiff”) and Defendants SPIN MASTER CORP.
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and SPIN MASTER, INC. (“Defendants”) (collectively, “Parties”), by and through
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their attorneys of record in this case, stipulate and agree as follows:
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WHEREAS, Plaintiff filed this action on January 19, 2017;
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WHEREAS, the Parties entered into two prior stipulations extending the time
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for Defendants to respond to Plaintiff’s Complaint;
WHEREAS, Defendants’ responsive pleading is currently due today, March 28,
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2017;
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WHEREAS, good cause exists to extend the deadline for Defendants to respond
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to Plaintiff’s Complaint in that the parties believe they are very close to reaching a
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final agreement to fully and completely resolve this matter;
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WHEREAS, the Parties are diligently working in good faith to complete
negotiations of a final settlement agreement;
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WHEREAS, the Parties agree that the time for Defendants to respond to
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Plaintiff’s Complaint shall be extended by 7 days in order to permit a final resolution
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to be reached;
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IT IS HEREBY STIPULATED by and between Plaintiff, on the one hand, and
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Defendants, on the other, that Defendants shall have an extension of 7 days to answer,
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move, or otherwise respond to Plaintiff’s Complaint to and including April 4, 2017.
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Dated: March 28, 2017
WINSTON & STRAWN LLP
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By: /s/ Scott J. Fishwick
Ronald Y. Rothstein
Ryan D. Evans
Scott J. Fishwick
Attorneys for Defendants
SPIN MASTER CORP.
SPIN MASTER INC.
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Dated: March 28, 2017
GERAGOS & GERAGOS, APC
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By: s/s Mark J. Geragos
Mark J. Geragos
Ben J. Meiselas
Eric Y. Hahn
Attorneys for Plaintiffs
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ORDER
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The Court, having considered the stipulation submitted herewith, hereby enters
the following order:
Defendants’ deadline to file a responsive pleading to Plaintiff’s Complaint shall
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be extended to April 4, 2017.
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IT IS SO ORDERED.
Dated:
March 28, 2017
UNITED STATES MAGISTRATE JUDGE
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