Bergkamp v. WBM LLC

Filing 16

STIPULATION and ORDER signed by District Judge Kimberly J. Mueller on 2/12/2018 ORDERING The deadline for defendant to respond to 13 First Amended Complaint is extended to and including 2/16/2018. (Washington, S)

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1 2 3 4 5 6 7 8 9 10 MICHAEL J. STORTZ (SBN 139386) michael.stortz@dbr.com DRINKER BIDDLE & REATH LLP 50 Fremont Street, 20th Floor San Francisco, California 94105-2235 Telephone: 415-591-7500 Facsimile: 415-591-7510 MARSHALL L. BAKER (SBN 300987) marshall.baker@dbr.com DRINKER BIDDLE & REATH LLP 1800 Century Park East, Suite 1500 Los Angeles, California 90067-1517 Telephone: 310-203-4000 Facsimile: 310-229-1285 Attorneys for Defendant WBM LLC d/b/a WBM INTERNATIONAL 11 UNITED STATES DISTRICT COURT 12 EASTERN DISTRICT OF CALIFORNIA 13 14 RICHARD BERGKAMP, individually and on behalf of all others similarly situated, 15 Plaintiffs, 16 v. Case No. 2:17-cv-02533-KJM-CKD STIPULATION AND ORDER FOR ONE WEEK EXTENSION OF DEFENDANT’S RESPONSIVE PLEADING DEADLINE 17 18 WBM LLC d/b/a WBM INTERNATIONAL, and DOES 1-10, Inclusive, 19 Defendants. 20 21 22 23 24 25 26 27 28 DRINKER BIDDLE & REATH LLP ATTORNEYS AT LAW SAN FRANCISCO STIPULATION AND ORDER FOR ONE WEEK EXTENSION OF DEFENDANT’S RESPONSIVE PLEADING DEADLINE CASE NO. 2:17-CV-02533-KJM-CKD 1 Plaintiff Richard Bergkamp (“Plaintiff”) and Defendant WBM LLC d/b/a WBM 2 International (“WBM”) hereby stipulate to and agree to a one (1) week extension of WBM’s 3 deadline to respond to Plaintiff’s First Amended Complaint (“FAC”) to and including February 4 16, 2018, as follows: 5 6 WHEREAS, on December 1, 2017, WBM timely removed Plaintiff’s Original Complaint to this Court. See Dkt. No. 1; 7 WHEREAS, Plaintiff filed a Motion to Remand on January 8, 2018 and set the hearing on 8 that motion for March 9, 2018, setting the hearing on that motion for March 9, 2018. See Dkt. 9 No. 8; 10 11 12 13 WHEREAS, pursuant to a Stipulated Order, Plaintiff filed his FAC on January 19, 2018. See Dkt. Nos. 12 and 13. WHEREAS, WBM’s response to Plaintiff’s FAC is currently set for February 9, 2018. See Dkt. No. 12; 14 WHEREAS, per minute order dated February 1, 2018, the Court vacated and reset the 15 Pretrial Scheduling Conference and hearing on Plaintiff’s Motion to Remand for March 23, 2018. 16 See Dkt. No. 14; 17 WHEREAS, pursuant to this Court’s Standing Order requiring pre-filing meet and confer 18 prior to the filing of any motion, the parties have met and conferred and agreed to a one (1) week 19 extension of WBM’s responsive pleading deadline; and 20 21 WHEREAS, the one (1) week scheduling modification provided herein will not otherwise impact any deadlines already set by the Court. 22 THEREFORE, IT IS HEREBY STIPULATED by the parties that: 23 (1) 24 The deadline for WBM to respond to Plaintiff’s First Amended Complaint is extended to and including February 16, 2018. 25 IT IS SO STIPULATED. 26 /// 27 /// /// 28 DRINKER BIDDLE & REATH LLP ATTORNEYS AT LAW SAN FRANCISCO STIPULATION AND ORDER FOR ONE WEEK EXTENSION OF DEFENDANT’S RESPONSIVE PLEADING DEADLINE -2- CASE NO. 2:17-CV-02533-KJM-CKD 1 Dated: February 7, 2018 DRINKER BIDDLE & REATH LLP 2 By: /s/ Marshall L. Baker Michael J. Stortz Marshall L. Baker 3 4 Attorneys for Defendant WBM LLC d/b/a WBM INTERNATIONAL 5 6 7 Dated: February 7, 2018 BESHADA FARNESE LLP 8 By: /s/ Peter J. Farnese (authorized on 2/7/2018) Peter J. Farnese 9 10 Attorneys for Plaintiff RICHARD BERGKAMP 11 12 13 14 PURSUANT TO STIPULATION, IT IS SO ORDERED. DATED: February 12, 2018. 15 16 UNITED STATES DISTRICT JUDGE 17 18 19 20 21 22 23 24 25 26 27 28 DRINKER BIDDLE & REATH LLP ATTORNEYS AT LAW SAN FRANCISCO STIPULATION AND ORDER FOR ONE WEEK EXTENSION OF DEFENDANT’S RESPONSIVE PLEADING DEADLINE -3- CASE NO. 2:17-CV-02533-KJM-CKD

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