Federal Trade Commission v. Wellness Support Network, Inc. et al
Filing
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STIPULATION AND ORDER. Signed by Judge Joseph C. Spero on 4/18/11. (klhS, COURT STAFF) (Filed on 4/18/2011)
Case3:10-cv-04879-JCS Document25
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Filed04/13/11 Page1 of 3
MITCHELL S. FUERST
Florida Bar No. 264598
mfuerst@fuerstlaw.com
Fuerst Ittleman, PL
1001 Brickell Bay Drive, Suite 2002
Miami, Florida 33131
Telephone: (305) 350-5690
Facsimile: (305) 371-8989
Appearing pro hac vice
LESLIE HOLMES
California Bar No. 192608
Leslie@HULawyers.com
HOLMES & USOZ, LLP
333 West Santa Clara Street, Suite 805
San Jose, California 95113
Telephone: (408) 292-7600
Facsimile: (408) 292-7611
Attorney for Defendants:
WELLNESS SUPPORT NETWORK, INC.,
ROBERT HELD, and
ROBYN HELD
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
SAN FRANCISCO DIVISION
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FEDERAL TRADE COMMISSION,
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Plaintiff,
Case No.: 3:10-cv-04879-JCS
JOINT STIPULATION
v.
Hearing Date: TBD
Courtroom A, 15th Floor
WELLNESS SUPPORT NETWORK, INC., a
corporation, ROBERT HELD, individually and Magistrate Judge: Hon. Joseph C. Spero
as an officer of Wellness Support Network,
Inc., and ROBYN HELD, individually and as
an officer of Wellness Support Network, Inc.,
Defendants.
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3:10-cv-04879-JCS
JOINT STIPULATION
Case3:10-cv-04879-JCS Document25
Filed04/13/11 Page2 of 3
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Defendants, Wellness Support Network, Inc. (“Wellness”), and Robert Held (hereinafter
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collectively referred to as “Defendants”) and Plaintiff, the Federal Trade Commission (“FTC”),
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hereby stipulate to the following:
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1.
On April 4, 2011, the Court entered an Order granting in part and denying in part
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Defendants’ Motion to Dismiss Complaint filed on December 29, 2010.
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2.
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complaint in part.
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3.
As a result of this Order, the parties have stipulated that the FTC will re-plead its
The parties have further stipulated that following re-pleading, Defendants will have
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twenty (20) days to file their Answer and/or other responsive pleadings.
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4.
schedule, which remains unchanged:
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The parties have previously stipulated to and the Court has ordered the following
a.
The last day to meet and confer regarding initial disclosures, early settlement,
ADR process selection, and discovery plan shall be June 14, 2011.
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b.
The last day to file for ADR Certification shall be June 14, 2011.
c.
The last day to file either a Stipulation to ADR Process or Notice of Need for
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ADR Phone Conference shall be June 14, 2011.
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d.
The last day to file Rule 26(f) Reports, complete initial disclosures or state
objections in a Rule 26(f) Report, and file a Case Management Statement shall be June 28,
2011.
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e.
The Initial Case Management Conference shall be held on July 8, 2011.
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3:10-cv-04879-JCS
JOINT STIPULATION
Case3:10-cv-04879-JCS Document25
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Respectfully submitted,
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Dated: April 13, 2011
FUERST ITTLEMAN, PL
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HOLMES & USOZ, LLP
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By: /s/ Mitchell S. Fuerst
Mitchell S. Fuerst
Attorney for Defendants, WELLNESS
SUPPORT NETWORK, ROBERT HELD, and
ROBYN HELD
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By: /s/ Leslie Holmes
Leslie Holmes
Attorney for Defendants, WELLNESS
SUPPORT NETWORK, ROBERT HELD, and
ROBYN HELD
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Dated: April 13, 2011
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By: /s/ Laura Fremont
Laura Fremont
Kenneth H. Abbe
Attorney for Plaintiff, FEDERAL TRADE
COMMISSION
PURSUANT TO STIPULATION, IT IS SO ORDERED
se
Judge Jo
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ero
p
ph C. S
NO
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_______________________________
JOSEPH C. SPERO
UNITED STATES MAGISTRATE JUDGE
UNIT
ED
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4/18/11
DATED: _____________
ISTRIC
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FEDERAL TRADE COMMISSION
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3:10-cv-04879-JCS
JOINT STIPULATION
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