Gullatt v. Golden State FC LLC et al
Filing
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STIPULATION and ORDER signed by District Judge Troy L. Nunley on 9/20/17 ORDERING that Defendant should respond to Plaintiff's complaint on or before 9/27/2017. (Mena-Sanchez, L)
1 Douglas E. Dexter (State Bar No. 115868)
Elizabeth M. Toledo (State Bar No. 312652)
2 Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
3 San Francisco, California 94104
Telephone: (415) 954-4400
4 Facsimile: (415) 954-4480
5 Attorneys for Defendants
GOLDEN STATE FC LLC and AMAZON.COM
6 LLC.
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA, SACRAMENTO DIVISION
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MARIAH GULLATT,
Case No. 2:17-cv-01327-TLN-KJN
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Plaintiff,
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STIPULATION TO EXTEND TIME FOR
DEFENDANTS TO RESPOND TO
PLAINTIFF’S COMPLAINT (L.R. 144);
ORDER (L.R. 143)
GOLDEN STATE FC LLC, AMAZON.COM
15 LLC, and DOES 1 through 25, inclusive,
Complaint Filed: June 28, 2017
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Judge: Honorable Troy L. Nunley
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vs.
Defendants.
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Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
San Francisco, California 94104
(415) 954-4400
STIPULATION TO EXTEND TIME FOR
DEFENDANTS TO RESPOND TO COMPLAINTCase No. 2:17-cv-01327-TLN-KJN
32117\6199732.2
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Plaintiff MARIAH GULLATT and Defendants GOLDEN STATE FC LLC and
2 AMAZON.COM LLC, by and through their respective counsel, hereby stipulate and agree as
3 follows:
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WHEREAS, on June 28, 2017, Plaintiff filed its Complaint in this action;
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WHEREAS, on August 23, 2017, Plaintiff served Defendants with a copy of the
6 Complaint and Summons in a Civil Action;
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WHEREAS, pursuant to Federal Rule of Civil Procedure 12(a), Defendants initially were
8 required to file and to serve a pleading responsive to Plaintiff’s Complaint on or before
9 September 13, 2017;
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WHEREAS, both parties have agreed to extend the time for Defendants to file and to serve
11 a pleading responsive to Plaintiff’s Complaint to and including September 27, 2017; and
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NOW, THEREFORE, THE PARTIES HEREBY AGREE AND STIPULATE THAT
13 Defendants shall have to and including September 27, 2017, to file and to serve a pleading
14 responsive to Plaintiff’s Complaint.
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IT IS SO STIPULATED.
16 Dated: September 13, 2017.
CLAYEO C. ARNOLD, APC
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By: /s/ MATTHEW VANDALL
(as authorized on 9/11/2017)
Matthew Vandall
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Attorneys for Plaintiff Mariah Gullatt
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Dated: September 13, 2017.
FARELLA BRAUN + MARTEL LLP
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By: /S/ DOUGLAS E. DEXTER
Douglas E. Dexter
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Attorneys for Defendants GOLDEN STATE
FC LLC and AMAZON.COM LLC
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Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
San Francisco, California 94104
(415) 954-4400
STIPULATION TO EXTEND TIME FOR
DEFENDANTS TO RESPOND TO COMPLAINTCase No. 2:17-cv-01327-TLN-KJN
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32117\6199732.2
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ORDER
Pursuant to the parties’ stipulation, IT IS SO ORDERED. Defendants should respond to
3 Plaintiff’s complaint on or before Wednesday, September 27, 2017.
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Dated: September 20, 2017
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Troy L. Nunley
United States District Judge
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Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
San Francisco, California 94104
(415) 954-4400
STIPULATION TO EXTEND TIME FOR
DEFENDANTS TO RESPOND TO COMPLAINTCase No. 2:17-cv-01327-TLN-KJN
3
32117\6199732.2
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