Quinn v. Visionworks of America, Inc. et al

Filing 16

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)

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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 3 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. 7 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 11 Attorneys for Plaintiff and 12 the Proposed Class 13 IN THE UNITED STATES DISTRICT COURT 14 FOR EASTERN DISTRICT OF CALIFORNIA 15 LYNDA QUINN, on Behalf of Herself and All 16 Others Similarly Situated, Plaintiff, 17 v. 18 VISIONWORKS OF AMERICA, INC. and 19 DOES 1 through 100, inclusive, Defendants. 20 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 21 22 23 24 25 26 27 28 1 JOINT NOTICE OF SETTLEMENT AND STIPULATION TO EXTEND DEADLINES FOR SUBMITTING DISPOSITIONAL DOCUMENTS AND RESPONSE TO COMPLAINT 1 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 10 11 12 DATED: January 27, 2025 DYKEMA GOSSETT LLP 13 By: 14 15 /s/ Abirami Gnanadesigan ABIRAMI GNANADESIGAN DAVID S. KILLORAN Attorneys for Defendant, VISIONWORKS OF AMERICA, INC. 16 17 DATED: January 27, 2025 LAW OFFICES OF ZEV B. ZYSMAN, APC 18 By: 19 /s/ Zev B. Zysman ZEV B. ZYSMAN Attorneys for Plaintiff and the Proposed Class 20 21 22 IT IS SO ORDERED. 23 Dated: January 27, 2025 ____________________________ Troy L. Nunley Chief United States District Judge 24 25 26 27 28 2 JOINT NOTICE OF SETTLEMENT AND STIPULATION TO EXTEND DEADLINES FOR SUBMITTING DISPOSITIONAL DOCUMENTS AND RESPONSE TO COMPLAINT

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