Bruno v. Equifax Credit Information Services, LLC, et al.
Filing
50
STIPULATION AND ORDER signed by Senior Judge William B. Shubb on 5/8/2017 ORDERING that the deadline for defendant B.B. Direct, Inc. to answer, move, or otherwise respond to the complaint is EXTENDED by 7 additional days, until 5/15/2017.(Becknal, R)
1 MICHAEL J. STEINER (State Bar No. 112079)
mjs@severson.com
2 JOEL L. HALVERSON (State Bar No. 174649)
jlh@severson.com
3 ALISA A. GIVENTAL (State Bar No. 273551)
aag@severson.com
4 SEVERSON & WERSON
A Professional Corporation
5 One Embarcadero Center, Suite 2600
San Francisco, California 94111
6 Telephone: (415) 398-3344
Facsimile: (415) 956-0439
7
Attorneys for Defendant
8 B.B. DIRECT, INC.
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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13 DANIEL BRUNO, Individually and on behalf
of others similarly situated,
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Plaintiffs,
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vs.
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EQUIFAX INFORMATION SERVICES,
17 LLC; GENEVA FINANCIAL SERVICES,
LLC; RMB WORLD ENTERPRISES, LLC
18 d/b/a DECISION LINKS; B.B. DIRECT,
INC.; GENESIS MARKETING GROUP,
19 INC. d/b/a HITMAN DIRECT; AMERICAN
MARKETING AND MAILING SERVICES,
20 INC.; STRATEGIC MARKING SERVICES,
LLC.
21
Defendants.
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Case No. 2:17-cv-00327-WBS-EFB
FOURTH STIPULATION AND
[PROPOSED] ORDER TO EXTEND
RESPONSE DEADLINE FOR B.B.
DIRECT, INC. TO RESPOND TO CLASS
ACTION COMPLAINT
Complaint Filed: February 15, 2017
Current Response Date: May 8, 2017
New Response Date: May 15, 2017
Plaintiff Daniel Bruno (“Plaintiff”) and defendant B.B. Direct, Inc. (“BB Direct”) hereby
24 stipulate as follows:
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WHEREAS, on February 15, 2017, Plaintiff filed the instant action;
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WHEREAS, on March 15, 2017, Plaintiff and co-defendants Equifax Information
27 Services, LLC and Geneva Financial Services, LLC entered into a stipulation extending their
28 deadline to respond to the Complaint by 28 days, until April 12, 2017;
12047.0024/10727482.1
1
2:17-CV-00327-WBS-EFB
FOURTH STIPULATION AND [PROPOSED] ORDER TO EXTEND RESPONSE DEADLINE FOR B.B. DIRECT,
INC. TO RESPOND TO CLASS ACTION COMPLAINT
1
WHEREAS, the aforementioned stipulation included BB Direct, although it had not
2 retained counsel, appeared in the action, or signed the stipulation;
3
WHEREAS, BB Direct retained counsel on April 6, 2017 and sought an additional 14-day
4 extension on its response deadline to the Complaint;
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WHEREAS, Plaintiff, through counsel, agreed to a further 14-day extension for BB Direct
6 to respond to the Complaint, and the Court, pursuant to the stipulation of the parties, granted the
7 extension for BB Direct to respond until April 26, 2017;
8
WHEREAS, Plaintiff and BB Direct agreed to additional 12-day extension on BB Direct’s
9 deadline to respond to the Complaint in light of a potential dismissal of BB Direct;
10
WHEREAS, Plaintiff and BB Direct continue to meet and confer about potential dismissal
11 of BB Direct from the action;
12
WHEREAS, Plaintiff and BB Direct agree that an additional 7-day extension on BB
13 Direct’s deadline to respond to the Complaint is appropriate in light of the continuing discussions
14 about the potential dismissal of BB Direct;
15
WHEREFORE, Plaintiff and BB Direct stipulate as follows:
16
1.
The time for BB Direct to respond to the complaint shall be extended by 7
17 additional days up to and including May 15, 2017.
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2.
This stipulation is without prejudice to the rights, claims, arguments and defenses
19 of all parties.
20 DATED: May 8, 2017
21
SEVERSON & WERSON
A Professional Corporation
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By:
23
/s/ Alisa A. Givental
Alisa A. Givental
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Attorneys for Defendant B.B. DIRECT, INC.
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2:17-CV-00327-WBS-EFB
2
FOURTH STIPULATION AND [PROPOSED] ORDER TO EXTEND RESPONSE DEADLINE FOR B.B. DIRECT,
INC. TO RESPOND TO CLASS ACTION COMPLAINT
12047.0024/10727482.1
1 DATED: May 8, 2017
LAW OFFICES OF JAMES LOUIS KOHL
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3
By:
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/s/ Joseph S. Messer
Joseph S. Messer
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Attorneys for Plaintiff DANIEL BRUNO
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I, Alisa A. Givental, attest that Joseph S. Messer, on whose behalf the filing is submitted, concurs
8 in the filing’s content and has authorized the filing. /s/ Alisa A, Givental
9
10
11
ORDER
12
13
Pursuant to the parties’ stipulation, IT IS SO ORDERED that the deadline for defendant
14 B.B. Direct, Inc. to answer, move, or otherwise respond to the complaint is extended by 7
15 additional days, until May 15, 2017.
16 Dated: May 8, 2017
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2:17-CV-00327-WBS-EFB
3
FOURTH STIPULATION AND [PROPOSED] ORDER TO EXTEND RESPONSE DEADLINE FOR B.B. DIRECT,
INC. TO RESPOND TO CLASS ACTION COMPLAINT
12047.0024/10727482.1
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