Collette v. Vision Security, LLC et al

Filing 17

ORDER signed by Chief Judge Morrison C. England, Jr on 7/28/15 re withdrawal of Motion to Dismiss 12 : VISION SECURITY, LLC shall file a responsive pleading on or before July 31, 2015. (Kaminski, H)

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1 Malcolm D. Schick, Esq. - State Bar No. 118978 Email: MSchick@GPSchickLaw.com 2 Jennifer L. Rusnak, Esq. - State Bar No. 247054 Email: JRusnak@GPSchicklaw.com 3 G&P|SCHICK, A Professional Corporation 99 Almaden Boulevard, Suite 740 4 San Jose, California 95113 Tel: (408) 995-5050; Fax: (408) 995-5150 5 Attorneys for Defendant, 6 VISION SECURITY, LLC 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 12 13 14 15 16 17 18 JOSH COLLETTE, an Individual, ) ) Plaintiff, ) ) vs. ) ) VISION SECURITY, LLC, NORTHSTAR ) ALARM SERVICES, LLC, and DOES 1- ) 20, inclusive ) ) Defendants. ) ) ) ) ) ) CASE NO. 2:15-cv-00426-MCE (EFB) Judge: Morrison C. England,Jr. Ctrm.: 7, 14th Floor Complaint filed: 02/24/15 Trial: None Set NOTICE OF WITHDRAWAL OF VISION SECURITY, LLC’S MOTION TO DISMISS UNDER RULE 12(b)(3); REQUEST TO SET DEADLINE FOR FILING AND SERVICE OF RESPONSIVE PLEADING; ORDER THEREON 19 20 Defendant, VISION SECURITY, LLC (hereinafter “VISION”) hereby 21 withdraws its Motion to Dismiss Under Rule 12(b)(3) [Docket No. 22 12], which is scheduled for hearing on July 23, 2015, in Courtroom 23 24 25 26 27 28 7 of the above-entitled court located at 501 I Street, Sacramento, California 95814. After reviewing plaintiff’s Opposition to the Motion to Dismiss, and Declaration in support thereof [Docket Nos. 13 and 14], and after conducting additional investigation into the -1NOTICE OF WITHDRAWAL OF VISION SECURITY, LLC’S MOTION TO DISMISS UNDER RULE 12(b)(3); REQUEST TO SET DEADLINE FOR FILING AND SERVICE OF RESPONSIVE PLEADING; ORDER THEREON 1 2 issues presented, VISION believes that there is good cause to withdraw the Motion to Dismiss, and requests that the hearing be 3 taken off calendar. 4 In light of the withdrawal of the Motion to Dismiss, VISION 5 requests that the deadline for filing and service of its responsive 6 pleading be set for July 31, 2015. 7 8 DATED: July 28, 2015 G&P|SCHICK 9 10 11 12 By:___/s/ Jennifer L. Rusnak_____ Malcolm D. Schick, Esq. Jennifer L. Rusnak, Esq. Attorneys for defendant, VISION SECURITY, LLC 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -2NOTICE OF WITHDRAWAL OF VISION SECURITY, LLC’S MOTION TO DISMISS UNDER RULE 12(b)(3); REQUEST TO SET DEADLINE FOR FILING AND SERVICE OF RESPONSIVE PLEADING; ORDER THEREON ORDER 1 2 VISION SECURITY, LLC’s Motion to Dismiss Under Rule 12(b)(3) 3 and supporting papers (ECF No. 12), which was scheduled for hearing 4 5 6 7 8 9 on July 23, 2015, in Courtroom 7 of the above-entitled court, is hereby taken off calendar. VISION SECURITY, LLC shall file a responsive pleading on or before July 31, 2015. IT IS SO ORDERED. 10 Dated: July 28, 2015 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -3NOTICE OF WITHDRAWAL OF VISION SECURITY, LLC’S MOTION TO DISMISS UNDER RULE 12(b)(3); REQUEST TO SET DEADLINE FOR FILING AND SERVICE OF RESPONSIVE PLEADING; ORDER THEREON

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