IO Group, Inc. et al v. GLBT, Ltd. et al
Filing
38
ORDER GRANTING STIPULATED REQUEST FOR ORDER CHANGING TIME. The discovery cut off and the deadline to name experts are extended to March 31, 2011. The deadline to name rebuttal experts is extended to April 14, 2011. The expert discovery cut off is extended to May 6, 2011. Signed by Judge Maxine M. Chesney on February 28, 2011. (mmclc1, COURT STAFF) (Filed on 2/28/2011)
IO Group, Inc. et al v. GLBT, Ltd. et al
Doc. 38
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D. GILL SPERLEIN (172887) THE LAW OFFICE OF D. GILL SPERLEIN 584 Castro Street, Suite 879 San Francisco, California 94114 Telephone: (415) 404-6615 Facsimile: (415) 404-6616 gill@sperleinlaw.com MARC JOHN RANDAZA (269535) General Counsel Liberty Media Holdings, LLC 302 Washington Street, Suite 321 San Diego, California 92103 Telephone: (415) 404-6615 Facsimile: (415) 404-6616 marc@corbinfisher.com Attorneys for Plaintiffs
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION ) IO GROUP, INC., a California corporation, ) CHANNEL ONE RELEASING, Inc., a ) California corporation and LIBERTY ) MEDIA HOLDINGS, LLC., a California ) corporation, ) ) Plaintiffs, ) vs. ) ) GLBT, Ltd., a British limited company, ) MASH and NEW, Ltd., a British limited ) company, PORT 80, Ltd., a company of ) unknown origin or structure, STEVEN JOHN COMPTON, an individual living in ) the United Kingdom, and DAVID ) GRAHAM COMPTON, an individual ) living in the United Kingdom. ) )
Defendants. CASE NO.: C-10-1282 (MMC)
STIPULATED REQUEST FOR ORDER CHANGING TIME PURSUANT TO LOCAL RULE 6-2 AND [PROPOSSED] ORDER
Trial Date: August 22, 2011
1 JOINT CASE MANAGEMENT STATEMENT
C-10-1282 (MMC) Dockets.Justia.com
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All parties by and through their respective counsel of record, hereby stipulate to change time for the following reasons: (A) Reasons for the Enlargement of Time 1. The parties held off on opening formal discovery honestly, if
perhaps overly optimistically, believing the parties had a high likelihood of settling this matter at the Early Neutral Evaluation and Settlement Conference. 2. Parties have yet been able to set depositions which will require
counsel traveling to England or Defendants traveling here. 3. Defense counsel, a sole practitioner recently had to return to England
on an emergency basis as his mother had suffered a medical emergency. (B) Previous Time Modifications Previously the parties stipulated and the Court allowed and extension of time to complete the ENE from October 14, 2010 to November 13, 2010. There have been no other time modifications in this case. (C) Effect the Requested Time Modification will Have on Schedule The requested modifications are as follows: Event Discovery Cut Off Experts named Rebuttal Experts named Expert Discovery Cut Off Current 2/18/11 2/25/11 3/11/11 4/11/11 Proposed 3/31/11 3/31/11 4/14/11 5/6/11
2 JOINT CASE MANAGEMENT STATEMENT
C-10-1282 (MMC)
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Joint Statement Due Dispositive Motion Deadline Further Status Conference Meet and Confer PreTrial Conference Trial Date
5/6/11 5/11/11 5/13/11 7/5/11 8/9/11 8/22/11
SAME SAME SAME SAME SAME SAME
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3 JOINT CASE MANAGEMENT STATEMENT
2/17/2011 Dated:_______________
/s/ D. Gill Sperlein ______________________________ D. Gill Sperlein THE LAW OFFICE OF D. GILL SPERLEIN Attorney for Plaintiffs
2/17/2011 Dated:_______________
/s/ Jonathan Capp ______________________________ Jonathan Capp, Attorney for Defendants
PURSUANT TO STIPULATION IT IS SO ORDERED.
Dated: February ___, 2011 28
_____________________________ Maxine M. Chesney UNITED STATES DISTRICT JUDGE
C-10-1282 (MMC)
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