Larsen et al v. Nonni's Foods, LLC et al
Filing
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STIPULATION AND ORDER extending Defendants' time to respond to Plaintiffs' complaint to 11/30/11 (tdm, COURT STAFF) (Filed on 11/17/2011)
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Donald P. Rubenstein (SBN 121034)
Email: drubenstein@reedsmith.com
Heather B. Hoesterey (SBN 201254)
Email: hhoesterey@reedsmith.com
Feather D. Baron (SBN 252489)
Email: fbaron@reedsmith.com
REED SMITH LLP
101 Second Street, Suite 1800
San Francisco, CA 94105-3659
Telephone: +1 415 543 8700
Facsimile:
+1 415 391 8269
Attorneys for Defendant
Chipita America, Inc.
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UNITED STATES DISTRICT COURT
REED SMITH LLP
A limited liability partnership formed in the State of Delaware
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NORTHERN DISTRICT OF CALIFORNIA
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TAMAR DAVIS LARSEN AND KIMBERLY S.
SETHAVANISH, on behalf of themselves and all
others similarly situated,
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Plaintiffs,
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Case No.: 11-CV-04758-SC
STIPULATION TO EXTEND
DEFENDANTS’ TIME TO RESPOND TO
PLAINTIFFS’ COMPLAINT
L.R. 6-1(a)
vs.
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NONNI’S FOODS LLC AND CHIPITA
AMERICA, INC.,
Defendants.
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WHEREAS, on September 23, 2011, Plaintiffs Tamar Davis Larsen and Kimberly S.
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Sethavanish (collectively, “Plaintiffs’) filed their “Complaint For Damages, Equitable, Declaratory
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And Injunctive Relief” in the above-captioned Court, alleging claims against defendants Nonni’s
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Foods, LLC and Chipita America, Inc. (collectively, “Defendants”) for violations of California
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Business and Professions Code sections 17200 (Unfair Competition Law) and 17500 (False
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Advertising Law) and California Civil Code section 1750 (Consumer Legal Remedies Act), as well
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as claims for common law fraud and restitution; and
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–1–
US_ACTIVE-107491821.2
STIPULATION TO EXTEND DEFENDANTS’ TIME TO RESPOND TO COMPLAINT – Case No. 11-CV-04758-SC
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WHEREAS, on October 14, 2011, the parties filed a Stipulation to Extend Defendants’ Time
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to Respond to Plaintiffs’ Complaint, thereby granting Defendants an extension to and including
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November 16, 2011 to respond to the Complaint; and
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respond to the Complaint, through and including November 30, 2011; and
WHEREAS, there is an Initial Status Conference in this matter currently set for January 13,
2012; and
WHEREAS, this extension will not alter the date of any event or any deadline already fixed
by Court order;
IT IS HEREBY STIPULATED, by and between Plaintiffs and Defendants, through their
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respective attorneys of record, pursuant to Local Rule 6-1, that Defendants shall have an extension
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of time, to and including November 30, 2011, to file a responsive pleading.
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DATED: November 15, 2011.
LAW OFFICES OF JANET LINDNER
SPIELBERG
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By:/s/ Janet Lindner Speilberg
Janet Lindner Spielberg
Attorneys for Plaintiffs Tamar Davis Larsen
and Kimberly S. Sethavanish
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DATED: November 15, 2011.
REED SMITH LLP
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By:/s/ Heather B. Hoesterey
Donald P. Rubenstein
Heather B. Hoesterey
Attorneys for Defendant Chipita America, Inc.
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ERED
O ORD
IT IS S
R NIA
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RT
U
O
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KIRKLAND & ELLIS LLP
ISTRIC
ES D
TC
AT
T
NO
onti
amuel C
Judge S
By:/s/ Beth M. Weinstein
C. Robert Boldt
Beth M. Weinstein
Attorneys for Defendant Nonni’s Foods LLC
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H
LI
RT
ER
FO
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DATED: November 15, 2011.
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UNIT
ED
REED SMITH LLP
A limited liability partnership formed in the State of Delaware
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WHEREAS, the parties now agree to an additional extension of time for Defendants to
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F
US_ACTIVE-107491821.2
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D IS T IC T O
R
STIPULATION TO EXTEND DEFENDANTS’ TIME TO RESPOND TO COMPLAINT – Case No. 11-CV-04758-SC
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