Hejduk v. Spin Master Corp, et al.

Filing 15

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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1 2 3 4 5 6 7 8 9 10 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. 11 UNITED STATES DISTRICT COURT 12 EASTERN DISTRICT OF CALIFORNIA 13 14 15 JODIE HEJDUK, individually and on behalf of all others similarly situated Plaintiffs, 16 17 18 v. SPIN MASTER CORP., and SPIN MASTER, INC., 19 Defendants. 20 ) ) ) ) ) ) ) ) ) ) ) ) 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. 21 22 and SPIN MASTER, INC. (“Defendants”) (collectively, “Parties”), by and through 23 their attorneys of record in this case, stipulate and agree as follows: 24 WHEREAS, Plaintiff filed this action on January 19, 2017; 25 WHEREAS, the Parties entered into two prior stipulations extending the time 26 for Defendants to respond to Plaintiff’s Complaint; WHEREAS, Defendants’ responsive pleading is currently due today, March 28, 27 28 2017; 1 1 WHEREAS, good cause exists to extend the deadline for Defendants to respond 2 to Plaintiff’s Complaint in that the parties believe they are very close to reaching a 3 final agreement to fully and completely resolve this matter; 4 5 WHEREAS, the Parties are diligently working in good faith to complete negotiations of a final settlement agreement; 6 WHEREAS, the Parties agree that the time for Defendants to respond to 7 Plaintiff’s Complaint shall be extended by 7 days in order to permit a final resolution 8 to be reached; 9 IT IS HEREBY STIPULATED by and between Plaintiff, on the one hand, and 10 Defendants, on the other, that Defendants shall have an extension of 7 days to answer, 11 move, or otherwise respond to Plaintiff’s Complaint to and including April 4, 2017. 12 13 Dated: March 28, 2017 WINSTON & STRAWN LLP 14 By: /s/ Scott J. Fishwick Ronald Y. Rothstein Ryan D. Evans Scott J. Fishwick Attorneys for Defendants SPIN MASTER CORP. SPIN MASTER INC. 15 16 17 18 19 Dated: March 28, 2017 GERAGOS & GERAGOS, APC 20 21 22 23 By: s/s Mark J. Geragos Mark J. Geragos Ben J. Meiselas Eric Y. Hahn Attorneys for Plaintiffs 24 25 26 27 28 2 1 ORDER 2 3 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 4 5 be extended to April 4, 2017. 6 7 8 9 IT IS SO ORDERED. Dated: March 28, 2017 UNITED STATES MAGISTRATE JUDGE 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3

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