Cesca Therapeutics, Inc. v. SynGen, Inc., et al.

Filing 25

STIPULATION and ORDER signed by Judge Garland E. Burrell, Jr. on 12/31/2014 ORDERING that Defendants shall have until and including 1/30/2015 to answer or otherwise respond to Cesca's Complaint. The status conference shall be RESCHEDULED for 3 /10/2015 at 9:00 AM in Courtroom 10 (GEB) before Judge Garland E. Burrell Jr.. The deadline for the parties to hold a Rule 26(f) conference shall be 2/13/2015. The deadline for the parties to file a Joint Status Report shall be 2/20/2015. The deadline for the parties to exchange initial disclosures shall be 2/27/2015. (Zignago, K.)

Download PDF
1 2 3 4 5 6 7 8 KEKER & VAN NEST LLP STUART L. GASNER - # 164675 sgasner@kvn.com ERIC H. MACMICHAEL - #231697 emacmichael@kvn.com MATAN SHACHAM - # 262348 mshacham@kvn.com 633 Battery Street San Francisco, CA 94111-1809 Telephone: 415 391 5400 Facsimile: 415 397 7188 Attorneys for Defendants SYNGEN, INC., PHC MEDICAL, INC. PHILIP COELHO, TERRENCE WOLF, and PRINCE EMMANUEL 9 UNITED STATES DISTRICT COURT 10 EASTERN DISTRICT OF CALIFORNIA 11 SACRAMENTO DIVISION 12 CESCA THERAPEUTICS INC., Case No. 2:14-CV-2085 GEB/KJN 13 Plaintiff, FIFTH JOINT STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT AND TO RESCHEDULE STATUS CONFERENCE AND RELATED DEADLINES 14 v. 15 SYNGEN, INC., et al. 16 Defendants. Judge: Hon. Garland E. Burrell, Jr 17 Date Filed: September 9, 2014 18 Trial Date: None Set 19 20 21 22 23 24 25 26 27 28 1 FIFTH JOINT STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT AND TO RESCHEDULE STATUS CONFERENCE AND RELATED DEADLINES Case No. 2:14-CV-2085 GEB/KJN 887831 Plaintiff Cesca Therapeutics Inc. (“Cesca”) and Defendants SynGen Inc., PHC Medical, 1 2 Inc., Philip Coelho, Terrence Wolf, and Prince Emmanuel (collectively “Defendants”), by and 3 through their respective counsel, hereby stipulate as follows: 4 5 6 WHEREAS, on September 9, 2014, Cesca filed its Complaint in the above-captioned matter; WHEREAS, on September 23, 2014, the parties filed a joint stipulation extending 7 Defendants’ time to answer or otherwise respond to Cesca’s Complaint by 28 days, pursuant to 8 Local Rule 144(a); 9 WHEREAS, on October 21, 2014, the parties filed a second joint stipulation extending 10 Defendants’ time to answer or otherwise respond to Cesca’s Complaint by another 21 days, 11 pursuant to Local Rule 144(a); 12 WHEREAS, on November 13, 2014, the parties filed a third joint stipulation extending 13 Defendants’ time to answer or otherwise respond to Cesca’s Complaint by another 21 days, 14 pursuant to Local Rule 144(a); 15 WHEREAS, on December 8, 2014, the parties filed a fourth joint stipulation extending 16 Defendants’ time to answer or otherwise respond to Cesca’s Complaint to December 31, 2014, 17 pursuant to Local Rule 144(a); 18 WHEREAS, Knobbe Martens LLP recently appeared as counsel for Cesca and Cesca’s 19 prior counsel at Weintraub Tobin Chediak Coleman Grodin and Paul Hastings LLP recently 20 withdrew from this case, and 21 WHEREAS, in light of the recent appearance of new counsel for Cesca, the parties have 22 agreed to extend Defendants’ time to answer or otherwise respond to Cesca’s Complaint by 23 another 30 days. 24 WHEREAS, in light of the appearance of new counsel for Cesca and the need to extend 25 Defendants’ time to answer or otherwise respond to the complaint, the parties have further agreed 26 to push back the status conference currently scheduled for January 26, 2015, and the related 27 deadlines. 28 2 FIFTH JOINT STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT AND TO RESCHEDULE STATUS CONFERENCE AND RELATED DEADLINES Case No. 2:14-CV-2085 GEB/KJN 887831 1 NOW, THEREFORE, it is hereby stipulated and agreed that: 2 With permission of the Court: Defendants shall have until and including January 30, 2015 3 to answer or otherwise respond to Cesca’s Complaint. The status conference shall be rescheduled 4 for March 10, 2015 at 9:00 AM; the deadline for the parties to hold a Rule 26(f) conference shall 5 be February 13, 2015; the deadline for the parties to file a Joint Status Report shall be February 6 20, 2015; and the deadline for the parties to exchange initial disclosures shall be February 27, 7 2015. 8 9 Dated: December 23, 2014 KEKER & VAN NEST LLP 10 By: 11 12 13 Attorneys for Defendants SYNGEN, INC., PHC MEDICAL, INC. PHILIP COELHO, TERRENCE WOLF, and PRINCE EMMANUEL 14 15 16 /s/ Stuart L. Gasner STUART L. GASNER ERIC H. MACMICHAEL MATAN SHACHAM Dated: December 23, 2014 KNOBBE MARTENS LLP 17 18 By: 19 /s/ Michael Friedland (with permission) MICHAEL FRIEDLAND Attorneys for Plaintiff CESCA THERAPEUTICS INC 20 21 22 IT IS SO ORDERED. 23 Dated: December 31, 2014 24 25 26 27 28 3 FIFTH JOINT STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT AND TO RESCHEDULE STATUS CONFERENCE AND RELATED DEADLINES Case No. 2:14-CV-2085 GEB/KJN 887831

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?