Craigslist, Inc v. 3Taps, Inc et al

Filing 34

ORDER granting 33 STIPULATION WITH PROPOSED ORDER filed by Craigslist, Inc. Withdrawing 30 MOTION to Dismiss filed by Padmapper, Inc., Amended Complaint due by 11/20/2012. Case Management Statement due by 2/8/2013. Initial Case Management Conference reset for 2/15/2013 08:30 AM in Courtroom 6, 17th Floor, San Francisco. Signed by Judge Charles R. Breyer on 11/15/2012. (beS, COURT STAFF) (Filed on 11/15/2012)

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Case3:12-cv-03816-CRB Document33 Filed11/13/12 Page1 of 4 1 2 3 4 5 6 7 PERKINS COIE LLP CHRISTOPHER KAO (No. 237716) ckao@perkinscoie.com BRIAN P. HENNESSY (No. 226721) bhennessy@perkinscoie.com J. PATRICK CORRIGAN (No. 240859) pcorrigan@perkinscoie.com 3150 Porter Drive Palo Alto, CA 94304 Telephone: 650.838.4300 Facsimile: 650.838.4595 Attorneys for Plaintiff craigslist, Inc. 8 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN FRANCISCO DIVISION 12 13 CRAIGSLIST, INC., a Delaware corporation, 14 Plaintiff, 15 v. 16 17 18 19 3TAPS, INC., a Delaware corporation; PADMAPPER, INC., a Delaware corporation; and Does 1 through 25, inclusive, Case No. CV 12-03816 CRB STIPULATION AND [PROPOSED] ORDER CONTINUING THE CASE MANAGEMENT CONFERENCE, WITHDRAWING PADMAPPER, INC.’S MOTION TO DISMISS, AND EXTENDING CRAIGSLIST, INC.’S TIME TO FILE ITS FIRST AMENDED COMPLAINT AND ITS RESPONSE TO 3TAPS, INC.’S COUNTERCLAIM Defendants. 20 21 22 23 24 25 26 27 28 P ERKINS C OIE LLP ATTORNEYS AT LAW PALO ALTO CV 12-03816 CRB STIPULATION AND [PROPOSED] ORDER Case3:12-cv-03816-CRB Document33 Filed11/13/12 Page2 of 4 1 2 WHEREAS, craigslist, Inc. (“craigslist”) filed a Complaint against Defendants 3Taps, Inc. (“3Taps”) and Padmapper, Inc. (“Padmapper”) on July 20, 2012. 3 WHEREAS, 3Taps filed its Answer to Complaint and Counterclaim on September 24, 4 2012, alleging violations of Section 2 of the Sherman Act (15 U.S.C. § 2), among other causes of 5 action. 6 7 WHEREAS, 3Taps has agreed to provide craigslist until November 20, 2012 to respond to its Counterclaim. 8 9 WHEREAS, Padmapper filed its Motion and Memorandum of Points and Authorities in Support of Defendant Padmapper, Inc.’s Limited Motion to Dismiss (“Motion to Dismiss”) 10 craigslist’s Complaint, and Answer to Complaint, Affirmative Defenses, and Counterclaims on 11 October 30, 2012. 12 13 WHEREAS, 3Taps and Padmapper have agreed to provide craigslist an extension of time until November 20, 2012 to amend its Complaint. 14 WHEREAS, Padmapper has agreed to withdraw its Motion to Dismiss (DE 30) 15 craigslist’s Complaint, but reserves the right to file a Motion to Dismiss craigslist’s First 16 Amended Complaint. 17 18 19 20 WHEREAS, the Case Management Conference is currently scheduled for December 7, 2012. WHEREAS, the parties hereby stipulate to continue the Case Management Conference until February 15, 2013. 21 Now therefore, the parties, through the undersigned counsel, hereby stipulate as follows: 22 (1) The deadline for craigslist to file its response to 3Taps’ Counterclaim and for craigslist 23 24 25 26 27 to file its First Amended Complaint is November 20, 2012; (2) Padmapper’s Motion to Dismiss (DE 30) is withdrawn, but Padmapper reserves the right to file a Motion to Dismiss craigslist’s First Amended Complaint; (3) The Case Management Conference is continued until February 15, 2013 and all related dates are continued accordingly. 28 P ERKINS C OIE LLP ATTORNEYS AT LAW PALO ALTO 1 CV 12-03816 CRB STIPULATION AND [PROPOSED] ORDER Case3:12-cv-03816-CRB Document33 Filed11/13/12 Page3 of 4 1 IT IS SO STIPULATED. 2 3 DATED: November 12, 2012 PERKINS COIE LLP 4 By: /s/ Brian Hennessy Brian Hennessy (SBN 226721) BHennessy@perkinscoie.com 5 6 Attorneys for Plaintiff craigslist, Inc. 7 8 9 DATED: November 12, 2012 10 By: /s/ Venkat Balasubramani Venkat Balasubramani (SBN 189192) venkat@focallaw.com 11 12 Attorneys for Defendant PadMapper, Inc. 13 14 FOCAL PLLC DATED: November 12, 2012 LOCKE LORD LLP 15 17 By: /s/ Christopher J. Bakes Christopher J. Bakes (SBN 99266) cbakes@lockelord.com 18 Attorneys for Defendant 3Taps, Inc. 16 19 20 21 22 I, Brian Hennessy, hereby attest, pursuant to N.D. Cal. Local Rule 5-1(i)(3), that the concurrence to the filing of this document has been obtained from each signatory hereto. DATED: November 12, 2012 PERKINS COIE LLP 23 By: /s/ Brian Hennessy Brian Hennessy (SBN 226721) BHennessy@perkinscoie.com 24 25 Attorneys for Plaintiff craigslist, Inc. 26 27 28 P ERKINS C OIE LLP ATTORNEYS AT LAW PALO ALTO 2 CV 12-03816 CRB STIPULATION AND [PROPOSED] ORDER Case3:12-cv-03816-CRB Document33 Filed11/13/12 Page4 of 4 1 2 7 8 9 10 to file its First Amended Complaint is November 20, 2012; (2) Padmapper’s Motion to Dismiss (DE 30) is withdrawn, but Padmapper reserves the right to file a Motion to Dismiss craigslist’s First Amended Complaint; (3) The Case Management Conference is continued until February 15, 2013 and all related dates are continued accordingly. 11 14 S O IT IS S OR reyer les R. B har Judge C ER H 17 RT 16 Honorable Charles R. Breyer RED DE NO 15 _____________________________________ UNIT ED 13 Dated: November 15,2012 _____________ RT U O 12 S DISTRICT TE C TA R NIA 6 (1) The deadline for craigslist to file its response to 3Taps’ Counterclaim and for craigslist 18 FO 5 ORDERED THAT: LI 4 PURSUANT TO THE FOREGOING STIPULATION OF THE PARTIES, IT IS A 3 [PROPOSED] ORDER N F D IS T IC T O R C 19 20 21 22 23 24 25 26 27 28 P ERKINS C OIE LLP ATTORNEYS AT LAW PALO ALTO 3 CV 12-03816 CRB STIPULATION AND [PROPOSED] ORDER

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