Quinn v. Visionworks of America, Inc. et al
Filing
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STIPULATION and ORDER signed by Chief District Judge Troy L. Nunley on EXTENDING the deadline to dismissal to 02/11/25 and the deadline to respond to 02/18/25. (Deputy Clerk VLC)
444 SOUTH FLOWER STREET
SUITE 2200
LOS ANGELES, CALIFORNIA 90071
DYKEMA GOSSETT LLP
1 DYKEMA GOSSETT LLP
DAVID S. KILLORAN, State Bar No. 156791
2
DKilloran@dykema.com
ABIRAMI GNANADESIGAN, State Bar No. 263375
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AGnanadesigan@dykema.com
444 South Flower Street, Suite 2200
4 Los Angeles, California 90071
Telephone: (213) 457-1800
5 Facsimile: (213) 457-1850
6 Attorneys for Defendant,
VISIONWORKS OF AMERICA, INC.
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LAW OFFICES OF ZEV B. ZYSMAN
8 A Professional Corporation
ZEV B. ZYSMAN, State Bar No. 176805
9 zev@zysmanlawca.com
15760 Ventura Boulevard, Suite 700
10 Encino, CA 91436
Telephone: (818) 783-8836
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Attorneys for Plaintiff and
12 the Proposed Class
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IN THE UNITED STATES DISTRICT COURT
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FOR EASTERN DISTRICT OF CALIFORNIA
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LYNDA QUINN, on Behalf of Herself and All
16 Others Similarly Situated,
Plaintiff,
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v.
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VISIONWORKS OF AMERICA, INC. and
19 DOES 1 through 100, inclusive,
Defendants.
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Case No. 2:24-CV-02780-TLN-SCR
JOINT NOTICE OF SETTLEMENT AND
STIPULATION TO EXTEND DEADLINES
FOR SUBMITTING DISPOSITIONAL
DOCUMENTS AND RESPONSE TO
COMPLAINT; ORDER
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JOINT NOTICE OF SETTLEMENT AND STIPULATION TO EXTEND DEADLINES
FOR SUBMITTING DISPOSITIONAL DOCUMENTS AND RESPONSE TO COMPLAINT
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Pursuant to Local Rule 160 (Fed. R. Civ. P. 16), Lynda Quinn, (“Plaintiff”), and Visionworks
2 of America, Inc. (“Visionworks” and together with Plaintiff, the “Parties”) notify the Court that the
3 Parties have reached a settlement in principle of this matter. The Parties anticipate that the long4 form settlement agreement will be fully executed within the next two weeks. To enable sufficient
5 time to complete the negotiations as to the long form settlement, the Parties agree and jointly request
6 that the deadline for filing a dismissal of this case be continued until February 11, 2025. Because
7 the current deadline to respond to Plaintiff’s Complaint is January 27, 2025, the Parties further
8 request that if they do not settle this dispute by February 11, 2025, the deadline to respond to the
9 Complaint be extended until February 18, 2025.
444 SOUTH FLOWER STREET
SUITE 2200
LOS ANGELES, CALIFORNIA 90071
DYKEMA GOSSETT LLP
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12 DATED: January 27, 2025
DYKEMA GOSSETT LLP
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By:
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/s/ Abirami Gnanadesigan
ABIRAMI GNANADESIGAN
DAVID S. KILLORAN
Attorneys for Defendant, VISIONWORKS OF
AMERICA, INC.
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17 DATED: January 27, 2025
LAW OFFICES OF ZEV B. ZYSMAN, APC
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By:
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/s/ Zev B. Zysman
ZEV B. ZYSMAN
Attorneys for Plaintiff and the Proposed Class
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IT IS SO ORDERED.
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Dated: January 27, 2025
____________________________
Troy L. Nunley
Chief United States District Judge
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JOINT NOTICE OF SETTLEMENT AND STIPULATION TO EXTEND DEADLINES
FOR SUBMITTING DISPOSITIONAL DOCUMENTS AND RESPONSE TO COMPLAINT
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