Faith Center Church Evengelist Ministries et al v. Glover et al

Filing 73

TRANSCRIPT of Proceedings held on 5/13/05 before Judge White. Court Reporter: Joan Columbini.. (far, Court Staff) (Filed on 7/14/2005)

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Faith Center Church Evengelist Ministries et al v. Glover et al Doc. 73 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Lester L. Levy (Admitted Pro Hac Vice) Michele F. Raphael (Admitted Pro Hac Vice) WOLF POPPER LLP 845 Third Avenue New York NY 10022 Telephone: 212.759.4600 Facsimile: 212.486.2093 e-mail: llevy@wolfpopper.com e-mail: mraphael@wolfpopper.com William M. Audet (SBN 117456) Jason Baker (SBN 212380) ALEXANDER, HAWES & AUDET, LLP 152 North Third Street, Suite 600 San Jose, CA 95112 Telephone: 408.289.1776 Facsimile: 408.287.1776 e-mail: waudet@alexanderlaw.com e-mail: jbaker@alexanderlaw.com Attorneys for Plaintiffs and the Proposed Class UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION CLRB HANSON INDUSTRIES, LLC d/b/a INDUSTRIAL PRINTING, and HOWARD STERN, on behalf of themselves and all others similarly situated, Plaintiffs, vs. GOOGLE, INC., Defendant. ) ) ) ) ) ) ) ) ) ) ) ) ) CASE NO: C05-03649 JW PLAINTIFFS' MOTION TO ENLARGE TIME Local Civil Rule 6-3 Plaintiffs' Motion to Enlarge Time Case No: C05-03649 JW Doc. 153978 Dockets.Justia.com 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 The CMC Order PRELIMINARY STATEMENT Plaintiffs reluctantly request that the Court reschedule Plaintiffs' motion for partial summary judgment from October 6, 2006 to November 6, 2006. The October 6, 2006 hearing was set as part of the schedule in the Order Following Case Management Conference (the "CMC Order") which required to Defendant to certify by July 17, 2006 that it had completed production of all documents describing the terms and conditions of the AdWords agreement and that depositions of Plaintiffs would be completed by August 7, 2006. Defendants violated both provisions of the Order by belatedly producing over 20,000 pages of documents and delaying Plaintiffs' depositions to mid-August. BACKGROUND At the CMC, Judge Ware sat with counsel for both parties and, based upon the parties' respective positions as set forth in, inter alia, the Joint Case Management Statement, determined that it would be in the interest of justice for Plaintiffs to make a prompt motion for partial summary judgment. Then, together with counsel for both parties, he set the hearing date for Friday, October 6, 2006 as reflected in the CMC Order. During the CMC, Defendant had unsuccessfully sought to have the motion heard at some later date. The CMC Order further provided that by July 17, 2006, Defendant was to "submit a sworn statement to plaintiffs that it has turned over all documents describing the terms and conditions of the AdWords agreement." CMC Order, ¶ 2. Defendant did not comply with the Court's Order. On July 17, 2006, instead of submitting the required statement and otherwise completing production of documents which should, pursuant to F. R. Civ. P. 26(a), have been provided by Defendant months ago, Defendant e-filed a document labeled "Declaration Pursuant to Court's June 27, 2006 Order Following Case Management Conference." The declaration was of a paralegal at Google saying that she "anticipate[s]" completing her review of documents concerning the AdWords program Plaintiffs' Motion to Enlarge Time Case No: C05-03649 JW Doc. 153978 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Terms and Conditions by July 21, 2006, and that she would then, forward the documents to outside counsel who would then produce them to Plaintiffs within 5 business days. Thus, Google unilaterally, and indefinitely, extended its own discovery deadline, in disregard of the schedule set by this Court. At no time prior to July 17, 2006, did Defendant alert Plaintiffs, nor this Court, about its intended failure to comply with the Court's directive. On July 31, 2006, Plaintiff received over 20,000 pages from Defendant in hard copy. See Declaration of Michele F. Raphael in Support of Plaintiffs' Motion to Enlarge Time, (the "Raphael Decl."). Defendant failed to produce, and subsequently refused to produce, the documents in electronic format, although that is how they were undoubtedly created and maintained by Google. As noted, any relevant documents concerning the terms of its own AdWords agreement should have been produced by Google in March, when the parties exchanged initial disclosures. Also detailed in the Raphael Decl. is how Defendant unilaterally extended the deposition schedule. On July 11, 2006, Defense counsel advised Plaintiffs' counsel that the attorney it chose to depose Plaintiffs was unavailable in the period of time (by August 7) the Court provided for depositions of Plaintiffs. ARGUMENT Plaintiffs Will Be Prejudiced if they Must File their Motion for Partial Summary Judgement by September 1, 2006 As detailed in the Raphael Decl., by ignoring the Court-ordered deadlines and its obligations under Rule 26, Defendant is compelling Plaintiff to request an adjournment of the partial summary judgment motion. On Monday, July 31, 2006, Plaintiffs received seven (7) boxes of documents containing more than 20,000 pages in hard copy. Nowhere in those seven (7) boxes, nor submitted to this Court, is a declaration as to the completeness of production - - although one was required to be filed no later than July 17, 2006. Also as detailed in the Raphael Decl., Defendant has succeeded in delaying the Plaintiffs' Motion to Enlarge Time Case No: C05-03649 JW Doc. 153978 3 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 deposition of one, or both, Plaintiffs. More than one month has elapsed since the CMC Order directing said depositions and no deposition has been taken. Both Plaintiffs have been fully available during the Court-appointed time. At this point, Plaintiffs will be prejudiced if they have to proceed with the motion as scheduled. Indeed, Defendant was well aware that its belated document production would prejudice Plaintiffs absent an extension of the partial summary judgment. See Raphael Decl., para. 33 and Exhibit B thereto. Plaintiffs' counsel have to review the documents and prepare for and defend Plaintiffs' depositions. Moreover, Plaintiffs' counsel adjusted their schedule in accordance with the deadlines set forth in the CMC, not the schedule as unilaterally reset by Defendant. Given the events in this case, Plaintiffs request that the partial summary judgment motion be adjourned until Monday, November 6. CONCLUSION Based upon the foregoing and the events in this case, Plaintiffs request that the hearing on the partial summary judgment motion be adjourned until Monday, November 6, 2006. Dated: August 8, 2006 WOLF POPPER LLP By: /s/ Lester L. Levy Attorneys for Plaintiffs Plaintiffs' Motion to Enlarge Time Case No: C05-03649 JW Doc. 153978 4

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