Masterobjects, Inc. v. eBay, Inc.
Filing
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ORDER by Magistrate Judge Jacqueline Scott Corley granting 113 Stipulation to Extend Certain Pretrial Dates (ahm, COURT STAFF) (Filed on 11/20/2013)
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John H. Barr, Jr. (TX 00783605)
John.Barr@bgllp.com
Christopher A. Shield (TX 24046833)
Chris.Shield@bgllp.com
Bracewell & Giuliani LLP
711 Louisiana Street, Suite 2300
Houston, Texas 77002-2770
Telephone: (713) 223-2300
Facsimile: (800) 404-3970
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PRO HAC VICE
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Martin L. Pitha (CA 192447)
mpitha@slplawfirm.com
Smith Lillis Pitha LLP
18201 Von Karman Avenue, Suite 1080
Irvine, CA 92612
Telephone: (949) 209-9020
Facsimile: (415) 217-7011
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ATTORNEYS FOR DEFENDANT
EBAY INC.
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
SAN FRANCISCO
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MASTEROBJECTS, INC.
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Plaintiff,
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Case No. 3:12-cv-00680
STIPULATION TO EXTEND CERTAIN
PRETRIAL DATES AND [PROPOSED]
ORDER
v.
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EBAY, INC.
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Defendant.
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STIPULATION TO EXTEND CERTAIN PRETRIAL
DEADLINES AND [PROPOSED] ORDER
Case No. 3:12-cv-00680-JSC
Pursuant to Civil Local Rule 7-12, Plaintiff MasterObjects, Inc. (“MasterObjects”) and
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Defendant eBay Inc. (“eBay”) stipulate through their respective counsel of record as follows:
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WHEREAS, on May 2, 2013 a further Case Management Conference was held in this case
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following the issuance of the Court’s claim construction order, at which the Court set a case
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schedule that included discovery cut-off, expert disclosure and other pre-trial dates, and also set a
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date for trial;
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WHEREAS, the parties agreed to brief extensions of the discovery cut-off and certain expert
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dates, by stipulation dated August 22, 2013, upon which the Court entered its order on August 23,
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2013;
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WHEREAS, the parties agreed to a further brief extension of the dates for expert reports and
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certain pre-trial dates, by stipulation dated September 30, 2013, upon which the Court entered its
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order on October 1, 2013;
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WHEREAS, MasterObjects has requested that certain expert deadlines be extended to
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accommodate the schedule of its counsel and experts, and eBay has agreed to accommodate
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MasterObjects’ request, the parties request a brief extension of the deadlines to serve rebuttal expert
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reports and the deadlines for expert discovery, with all other deadlines remaining unchanged;
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WHEREAS, the parties submit that the proposed change to the schedule is reasonably
necessary for the orderly preparation of expert reports and completion of expert discovery;
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NOW THEREFORE, the parties through their undersigned counsel hereby stipulate and
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request that the Court order the extension of dates for rebuttal expert reports and the expert
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discovery deadlines as shown in the chart below:
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Current Date
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Proposed Date
Last Day for Rebuttal Expert Reports (NonDamages)
December 2, 2103
December 9, 2013
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Last Day to Complete Expert Discovery
(Non-Damages)
December 13, 2013
December 18, 2013
Last Day to File Dispositive Motions
December 23, 2013
December 23, 2013
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-2STIPULATION TO EXTEND CERTAIN PRETRIAL
DEADLINES AND [PROPOSED] ORDER
Case No. 3:12-cv-00680-JSC
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Last Day for Rebuttal Expert Report on
Damages
December 2, 2013
January 9, 2014
Last Day to Complete Expert Discovery on
Damages
December 13, 2013
January 24, 2014
Dispositive Motion Hearing
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February 10, 2014
February 10, 2014
Last Day to File Daubert Motions
February 10, 2014
February 10, 2014
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Pretrial Filings Due
March 10, 2014
March 10, 2014
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Trial
April 21, 2014
April 21, 2014
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IT IS SO STIPULATED.
Dated: November 19, 2013
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Respectfully submitted:
HOSIE RICE LLP
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By: /s/ Spencer Hosie___________________
Spencer Hosie
Attorney for Plaintiff
MasterObjects, Inc.
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BRACEWELL & GIULIANI LLP
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By: /s/ John H. Barr, Jr.
John H. Barr, Jr.
Attorney for Defendant
eBay, Inc.
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______
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I hereby attest pursuant to General Order 45.X.B. that concurrence in the electronic filing of
this document has been obtained from the other signatories.
DATED: November 19, 2013
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__/s/ John H. Barr, Jr.
John H. Barr, Jr.
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-3STIPULATION TO EXTEND CERTAIN PRETRIAL
DEADLINES AND [PROPOSED] ORDER
Case No. 3:12-cv-00680-JSC
[PROPOSED] ORDER
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Pursuant to the stipulation of the parties, it is hereby ORDERED that the pre-trial dates
are extended to the proposed dates set forth above in the parties’ stipulation.
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PURSUANT TO STIPULATION IT IS SO ORDERED.
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Dated: November ___, 2013
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____________________________________
Honorable Jacqueline Scott Corley
United States Magistrate Judge
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-4STIPULATION TO EXTEND CERTAIN PRETRIAL
DEADLINES AND [PROPOSED] ORDER
Case No. 3:12-cv-00680-JSC
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