Gadomski v. Trans Union LLC
Filing
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STIPULATION and ORDER signed by District Judge Troy L. Nunley on 5/12/2017 ORDERING the deadline for Transunion to file their response to the 1 Complaint is EXTENDED to 6/1/2017. (Washington, S)
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STROOCK & STROOCK & LAVAN LLP
STEPHEN J. NEWMAN (State Bar No. 181570)
BRIAN C. FRONTINO (State Bar No. 222032)
JULIETA STEPANYAN (State Bar No. 280691)
2029 Century Park East
Los Angeles, CA 90067-3086
Telephone: 310-556-5800
Facsimile: 310-556-5959
Email: lacalendar@stroock.com
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Attorneys for Defendant
TRANS UNION LLC
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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KELLIE GADOMSKI, individually and on
behalf of all others similarly situated,
Plaintiff,
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vs.
TRANS UNION LLC,
Defendant.
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Case No. 2:17-CV-00669-TLN-AC
STIPULATION AND ORDER FOR
FURTHER EXTENSION OF TIME TO
FILE RESPONSE TO COMPLAINT
FROM MAY 18, 2017 TO JUNE 1, 2017
[L.R. 144(a)]
Action Filed: March 29, 2017
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STIPULATION FOR FURTHER EXTENSION OF TIME TO FILE RESPONSE TO COMPLAINT
[L.R. 144 (a)]
LA 52081687
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Plaintiff Kellie Gadomski (“Plaintiff”) and defendant TransUnion LLC (“TransUnion,” and
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together with Plaintiff, the “Parties”), through their undersigned counsel, hereby stipulate as
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follows:
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WHEREAS, Plaintiff filed the Complaint in this action on March 29, 2017, in the United
States District Court for the Eastern District of California;
WHEREAS, pursuant to Local Rule 144(a), the Parties, through their respective counsel of
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record, previously agreed to extend TransUnion’s deadline to respond to the Complaint by twenty-
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2029 Century Park East
Los Angeles, California 90067-3086
WHEREAS, TransUnion was served with the Complaint on March 30, 2017;
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STROOCK & STROOCK & LAVAN LLP
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eight (28) days, to and including May18, 2017;
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WHEREAS, the Parties require additional time to investigate the allegations in the
Complaint and meet and confer regarding potential informal resolution of Plaintiff’s claims;
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WHEREAS, the Parties, through their respective counsel of record, have agreed to further
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extend TransUnion’s deadline to respond to the Complaint by fourteen (14) days, to and including
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June 1, 2017;
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IT IS HEREBY STIPULATED by and between Plaintiff and TransUnion, through their
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respective counsel of record, that TransUnion shall have an additional fourteen (14) day extension
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of time, to and including June 1, 2017, to file its response to the Complaint.
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IT IS SO STIPULATED.
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Dated: May 11, 2017
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STROOCK & STROOCK & LAVAN LLP
STEPHEN J. NEWMAN
BRIAN C. FRONTINO
JULIETA STEPANYAN
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By:
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/s/ Julieta Stepanyan
Julieta Stepanyan
Attorneys for Defendant,
TRANSUNION LLC
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STIPULATION FOR FURTHER EXTENSION OF TIME TO FILE RESPONSE TO COMPLAINT
[L.R. 144(a)]
LA 52081687
Dated: May 11, 2017
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KAZEROUNI LAW GROUP, APC
ABBAS KAZEROUNIAN
MATTHEW M. LOKER
HYDE & SWIGART
JOSHUA SWIGART
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LAW OFFICE OF CLARK OVRUCHESKY
CLARK OVRUCHESKY
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By:
2029 Century Park East
Los Angeles, California 90067-3086
STROOCK & STROOCK & LAVAN LLP
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/s/ Matthew M. Loker
(as authorized on May 11, 2017)
Matthew M. Loker
Attorneys for Plaintiff,
KELLIE GADOMSKI
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IT IS SO ORDERED.
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Dated: May 12, 2017
Troy L. Nunley
United States District Judge
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-2STIPULATION FOR FURTHER EXTENSION OF TIME TO FILE RESPONSE TO COMPLAINT
[L.R. 144(a)]
LA 52081687
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