Anderson v. Charles Schwab and Company, Inc.,
Filing
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ORDER EXTENDING DEFENDANT CHARLES SCHWAB & CO., INC.'S TIME TO RESPOND TO COMPLAINT. Pursuant to the stipulation of the parties and good cause appearing, defendant must file a responsive pleading to the Third Amended Complaint no later than Marc h 15, 2013. Given the limited nature of the amendments, however, said extension shall not constitute good cause to amend the Pretrial Preparation Order in any manner. Signed by Judge Maxine M. Chesney on February 28, 2013. (mmclc1, COURT STAFF) (Filed on 2/28/2013)
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Deborah J. Broyles (SBN 167681)
Email: dbroyles@reedsmith.com
Tiffany Renee Thomas (SBN 239085)
Email: tthomas@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
Charles Schwab & Co., Inc.
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IN THE UNITED STATES DISTRICT COURT
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FOR THE NORTHERN DISTRICT OF CALIFORNIA
REED SMITH LLP
A limited liability partnership formed in the State of Delaware
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JACQUELINE ANDERSON,
No.: 3:12-cv-01682-MMC
Plaintiff,
STIPULATION AND [PROPOSED] ORDER
EXTENDING DEFENDANT CHARLES
SCHWAB & CO., INC.’S TIME TO
RESPOND TO COMPLAINT
vs.
CHARLES SCHWAB AND COMPANY, INC.,
and DOES 1 through 100, inclusive,
Defendants.
Hon. Maxine M. Chesney
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STIPULATION AND [PROPOSED] ORDER EXTENDING DEFENDANT
CHARLES SCHWAB & CO., INC.’S TIME TO RESPOND TO COMPLAINT
US_ACTIVE-112104058.1-TTHOMAS 02/28/2013 10:31 AM
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Plaintiff Jacqueline Anderson (“Plaintiff”) and Defendant Charles Schwab & Co., Inc.
(“Defendant”), by and through their undersigned counsel of record, hereby stipulate as follows:
WHEREAS, on January 11, 2013, the parties filed a Stipulation and [Proposed] Order
seeking leave for Plaintiff’s filing of a Third Amended Complaint [Doc 19];
WHEREAS, on January 15, 2013, this Court granted Plaintiff leave to file a Third Amended
Complaint [Doc. 20];
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WHEREAS, on January 17, 2013, Plaintiff filed a Third Amended Complaint [Doc. 21];
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WHEREAS, the Third Amended Complaint contains 270 separate and distinct paragraphs;
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WHEREAS, Defendant intends to file an answer to the Third Amended Complaint;
REED SMITH LLP
A limited liability partnership formed in the State of Delaware
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WHEREAS, the parties stipulated to, and the court granted, an extension of Defendant’s time
to file its answer to March 1, 2013 [Docs. 22, 24]
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WHEREAS, Defendant will be unable to complete its Answer by March 1, 2013;
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WHEREAS, an extension of time will not affect the case management schedule for this
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action; and
WHEREAS, the instant Stipulation and [Proposed] Order constitutes the parties’ second
request for a time modification in this action.
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NOW, THEREFORE, IT IS HEREBY STIPULATED AND AGREED by Plaintiff and
Defendant that:
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Pursuant to this stipulation, the parties agree to continue Defendant’s deadline to file its
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responsive pleading to the Third Amended Complaint from March 1, 2013 to March 15, 2013.
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SO STIPULATED.
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-1STIPULATION AND [PROPOSED] ORDER EXTENDING DEFENDANT
CHARLES SCHWAB & CO., INC.’S TIME TO RESPOND TO COMPLAINT
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DATED: February 28, 2013
REED SMITH, LLP
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By: /s/ Tiffany Renee Thomas
Deborah J. Broyles
Tiffany Renee Thomas
Attorneys for Defendant Charles Schwab & Co., Inc.
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DATED: February 28, 2013
Law Offices of Murlene J. Randle
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By: /s/ Murlene J. Randle
Murlene J. Randle
Attorneys for Plaintiff Jacqueline Anderson
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REED SMITH LLP
A limited liability partnership formed in the State of Delaware
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ORDER
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Pursuant to the stipulation of the parties and good cause appearing, IT IS HEREBY
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ORDERED THAT Defendant Charles Schwab & Co., Inc. must file a responsive pleading to
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Plaintiff Jacqueline Anderson’s Third Amended Complaint no later than March 15, 2013. Given the
limited nature of the amendments, however, said extension shall not constitute good cause to amend
the Pretrial Preparation Order in any manner.
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IT IS SO ORDERED.
Dated: ____________
February 28, 2013
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_____________________________________
The Honorable Maxine Chesney
United States District Judge
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-2STIPULATION AND [PROPOSED] ORDER EXTENDING DEFENDANT
CHARLES SCHWAB & CO., INC.’S TIME TO RESPOND TO COMPLAINT
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