Guinn v. Sugar Transport of the Northwest, Inc.

Filing 54

STIPULATION and ORDER 53 signed by Senior Judge William B. Shubb on 1/26/2017 extending time for plaintiff to file a motion for class certification by 5/1/2017. (Kirksey Smith, K)

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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 JAMES L. PAGANO, ESQ. (Cal. State Bar No. 098185) IAN A. KASS, ESQ. (Cal. State Bar No. 184480) PAGANO & KASS, APC 96 North Third Street, Suite 525 San Jose, California 95112 Telephone: (408) 999-5678 Facsimile: (408) 999-5684 paganolaw@aol.com Attorneys for Plaintiff, RYAN GUINN, an individual, on behalf of himself, and on behalf of all other persons similarly situated CASSANDRA M. FERRANNINI, ESQ. (Cal. State Bar No. 204277) ALEXANDRA K. LAFOUNTAIN, ESQ. (Cal. State Bar No. 301003) DOWNEY BRAND LLP 621 Capitol Mall, 18th Floor Sacramento, CA 95814 Telephone: (916) 444-1000 Facsimile: (916) 444-2100 cferrannini@downeybrand.com alafountain@downeybrand.com Attorneys for Defendant, SUGAR TRANSPORT OF THE NORTHWEST, INC. 17 IN THE UNITED STATES DISTRICT COURT 18 IN AND FOR THE EASTERN DISTRICT OF CALIFORNIA 19 SACRAMENTO DIVISION 20 21 22 RYAN GUINN, an individual, on behalf of himself, and on behalf of all other persons similarly situated, Plaintiffs, 23 24 vs. 25 SUGAR TRANSPORT OF THE NORTHWEST, INC., a California corporation, et al., 26 Case No.: 2:16-cv-00325-WBS-EFB STIPULATION AND [PROPOSED] ORDER EXTENDING SCHEDULED DATE FOR FILING MOTION FOR CLASS CERTIFICATION Judge: Hon. William B. Shubb Courtroom: 5 27 Defendants. 28 STIPULATION AND ORDER EXTENDING SCHEDULED DATE FOR FILING MOTION FOR CLASS CERTIFICATION 1 1 COME NOW, Plaintiff, RYAN GUINN (“Plaintiff”), and Defendant, SUGAR 2 3 TRANSPORT OF THE NORTHWEST, INC. (“Defendant”) (hereafter, when referenced to in a 4 collective manner, Plaintiff and Defendants will be referred to collectively as “the Parties”), by 5 and through their respective attorneys of record, and they hereby stipulate and agree as follows: 6 7 WHEREAS, on August 24, 2016, the Court entered a stipulated order, titled “Stipulation and Order Extending Scheduled Dates for Settlement Efforts,” Document 33 (“Revised 8 9 10 11 12 Scheduling Order”), revising the Scheduling Order in this Case; WHEREAS, according to the referenced Revised Scheduling Order, the deadline for Plaintiff to file a motion for class certification is Tuesday, January 31, 2017; WHEREAS, on January 24, 2017, the Court, on Plaintiff’s motion, entered an order 13 granting Plaintiff leave to amend his complaint in this Case to add two additional defendants, 14 15 16 17 18 Bronco Wine Company and Classic Wines of California (collectively as “Newly Added Defendants”); WHEREAS, the Parties believe it would be best to address class certification issues after the Newly Added Defendants have appeared in the Case through a single motion and hearing; 19 WHEREAS, the Parties believe the balance of the revised Scheduling Order should be 20 21 22 23 24 revised, but believe they should do so only after the Newly Added Defendants appear in the Case and, thereafter, provide their input regarding the proposed schedule; THEREFORE, the Parties hereto stipulate and agree that the following deadline previously scheduled by the Court through the Revised Scheduling Order be extended as 25 follows: 26 27 28 The deadline for Plaintiff to file a motion for class certification be extended from January 31, 2017 to May 1, 2017. STIPULATION AND ORDER EXTENDING SCHEDULED DATE FOR FILING MOTION FOR CLASS CERTIFICATION 2 1 2 3 4 IT IS SO STIPULATED. Dated: January 26, 2017 5 PAGANO & KASS, APC 6 /s/ Ian A. Kass ___________________________________ JAMES L. PAGANO, ESQ., IAN A. KASS, ESQ., Attorneys for Plaintiff, Ryan Guinn 7 8 9 10 11 12 13 14 Respectfully submitted, Dated: January 26, 2017 DOWNEY BRAND, LLP /s/ Cassandra M. Ferrannini, Esq. ___________________________________ CASSANDRA M. FERRANNINI, ESQ., ALEXANDRA K. LAFOUNTAIN, ESQ., Attorneys for Defendant, Sugar Transport of the Northwest, Inc. 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER EXTENDING SCHEDULED DATE FOR FILING MOTION FOR CLASS CERTIFICATION 3 1 ORDER 2 3 GOOD CAUSE APPEARING, it is hereby ORDERED that the “Stipulation and Order 4 Extending Scheduled Dates for Settlement Efforts,” Document 33, entered in the above- 5 captioned matter on August 24, 2016, is modified to extend the deadlines as follows: 6 The deadline for Plaintiff to file a motion for class certification be extended from 7 January 31, 2017 to May 1, 2017. 8 9 10 IT IS SO ORDERED. Dated: January 26, 2017 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER EXTENDING SCHEDULED DATE FOR FILING MOTION FOR CLASS CERTIFICATION 4

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