Larsen et al v. Nonni's Foods, LLC et al

Filing 15

STIPULATION AND ORDER extending Defendants' time to respond to Plaintiffs' complaint to 11/30/11 (tdm, COURT STAFF) (Filed on 11/17/2011)

Download PDF
1 2 3 4 5 6 7 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. 8 9 UNITED STATES DISTRICT COURT REED SMITH LLP A limited liability partnership formed in the State of Delaware 10 NORTHERN DISTRICT OF CALIFORNIA 11 12 TAMAR DAVIS LARSEN AND KIMBERLY S. SETHAVANISH, on behalf of themselves and all others similarly situated, 13 Plaintiffs, 14 Case No.: 11-CV-04758-SC STIPULATION TO EXTEND DEFENDANTS’ TIME TO RESPOND TO PLAINTIFFS’ COMPLAINT L.R. 6-1(a) vs. 15 16 17 NONNI’S FOODS LLC AND CHIPITA AMERICA, INC., Defendants. 18 19 20 WHEREAS, on September 23, 2011, Plaintiffs Tamar Davis Larsen and Kimberly S. 21 Sethavanish (collectively, “Plaintiffs’) filed their “Complaint For Damages, Equitable, Declaratory 22 And Injunctive Relief” in the above-captioned Court, alleging claims against defendants Nonni’s 23 Foods, LLC and Chipita America, Inc. (collectively, “Defendants”) for violations of California 24 Business and Professions Code sections 17200 (Unfair Competition Law) and 17500 (False 25 Advertising Law) and California Civil Code section 1750 (Consumer Legal Remedies Act), as well 26 as claims for common law fraud and restitution; and 27 28 –1– US_ACTIVE-107491821.2 STIPULATION TO EXTEND DEFENDANTS’ TIME TO RESPOND TO COMPLAINT – Case No. 11-CV-04758-SC 1 WHEREAS, on October 14, 2011, the parties filed a Stipulation to Extend Defendants’ Time 2 to Respond to Plaintiffs’ Complaint, thereby granting Defendants an extension to and including 3 November 16, 2011 to respond to the Complaint; and 4 5 6 7 8 9 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 11 respective attorneys of record, pursuant to Local Rule 6-1, that Defendants shall have an extension 12 of time, to and including November 30, 2011, to file a responsive pleading. 13 DATED: November 15, 2011. LAW OFFICES OF JANET LINDNER SPIELBERG 14 15 By:/s/ Janet Lindner Speilberg Janet Lindner Spielberg Attorneys for Plaintiffs Tamar Davis Larsen and Kimberly S. Sethavanish 16 17 18 19 DATED: November 15, 2011. REED SMITH LLP 20 21 By:/s/ Heather B. Hoesterey Donald P. Rubenstein Heather B. Hoesterey Attorneys for Defendant Chipita America, Inc. 22 23 24 ERED O ORD IT IS S R NIA 28 RT U O 27 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 A H LI RT ER FO 26 DATED: November 15, 2011. S 25 UNIT ED REED SMITH LLP A limited liability partnership formed in the State of Delaware 10 WHEREAS, the parties now agree to an additional extension of time for Defendants to C F US_ACTIVE-107491821.2 –2– D IS T IC T O R STIPULATION TO EXTEND DEFENDANTS’ TIME TO RESPOND TO COMPLAINT – Case No. 11-CV-04758-SC N

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?