Bronson et al v. Johnson & Johnson Inc. et al
Filing
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ORDER granted 63 STIPULATION WITH PROPOSED ORDER -Joint- Rescheduling Case Management Conference filed by Johnson & Johnson Inc., McNeil Nutritionals, LLC. Case Management Statement due by 1/24/2014. Further Case Management Conference reset for 1/31/2014 08:30 AM in Courtroom 6, 17th Floor, San Francisco. Signed by Judge Charles R. Breyer on 11/22/2013. (beS, COURT STAFF) (Filed on 11/22/2013)
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MICHAEL J. STORTZ (SBN #139386)
michael.stortz@dbr.com
MATTHEW J. ADLER (SBN #273147)
matthew.adler@dbr.com
DRINKER BIDDLE & REATH LLP
50 Fremont Street, 20th Floor
San Francisco, CA 94105-2235
Telephone:
(415) 591-7500
Facsimile:
(415) 591-7510
STEVEN A. ZALESIN
sazalesin@pbwt.com
TRAVIS J. TU
tjtu@pbwt.com
JONAH M. KNOBLER
jknobler@pbwt.com
PATTERSON BELKNAP WEBB & TYLER LLP
1133 Avenue of the Americas
New York, New York 10036
Telephone:
(212) 336-2000
Facsimile:
(212) 336-2222
Attorneys for Defendants
JOHNSON & JOHNSON and
MCNEIL NUTRITIONALS, LLC
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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BARBARA BRONSON, MICHAEL
FISHMAN, and ALVIN KUPPERMAN,
on behalf of themselves and all others
similarly situated,
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JOINT STIPULATION AND ORDER
RESCHEDULING CASE MANAGEMENT
CONFERENCE
Plaintiffs,
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Case No. 3:12-CV-04184-CRB
v.
JOHNSON & JOHNSON INC. and
MCNEIL NUTRITIONALS, LLC,
Defendants.
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JOINT STIPULATION AND [PROPOSED] ORDER
RESCHEDULING CMC
CASE NO. 3:12-CV-04184-CRB
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Pursuant to Civil Local Rule 6-2(a) and 6-1(b), Plaintiffs Barbara Bronson, Michael
Fishman, and Alvin Kupperman (“Plaintiffs”) and Defendants Johnson & Johnson and McNeil
Nutritionals, LLC (“Defendants”) hereby stipulate to the rescheduling of the Case Management
Conference currently scheduled for January 17, 2014 at 8:30 a.m.
The parties request that a new Case Management Conference be continued to January 31,
2014, and that the parties’ obligations under Federal Rules of Civil Procedure 26(f) be
rescheduled accordingly. Assuming the Court grants the parties’ stipulation, the parties’ Case
Management Statement will be due on January 24, 2014.
The basis for the request is to accommodate the schedules of counsel for both sides, which
schedule otherwise conflicts with the current January 17, 2014 date. The Court previously
granted a joint stipulation to extend time to respond to the complaint (Dkt. 14) and a joint
stipulation to extend time to respond to the Second Amended Complaint (Dkt. 48). The parties
also stipulated to extend the latter request (Dkt. 61).
There have been no other schedule
modifications in this case. The parties believe that rescheduling the Case Management
Conference to January 31, 2014 will not prejudice the parties or significantly impact the ultimate
schedule for resolution of the case.
This stipulation is made without prejudice to seek additional orders from the Court,
subject to Court approval.
IT IS THEREFORE STIPULATED, by the parties through their respective counsel, as
follows:
The Case Management Conference, currently scheduled for January 17, 2014, shall be
taken off calendar and rescheduled for January 31, 2014.
IT IS SO STIPULATED.
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D RINKER B IDDLE &
R EATH LLP
A TTORN E YS A T L A W
S A N F RA N C I S C O
JOINT STIPULATION AND [PROPOSED] ORDER
RESCHEDULING CMC
-1-
CASE NO. 3:12-CV-04184-CRB
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Dated: November 22, 2013
DRINKER BIDDLE & REATH LLP
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By: /s/ Michael J. Stortz
Michael J. Stortz
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Attorneys for Defendants
JOHNSON & JOHNSON and
MCNEIL NUTRITIONALS, LLC
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Dated: November 22, 2013
THE MILLS LAW FIRM
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By: /s/ Joshua D. Boxer
Joshua D. Boxer
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Attorneys for Plaintiffs
BARBARA BRONSON, MICHAEL
FISHMAN, and ALVIN KUPPERMAN
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Attestation Pursuant to Civil Local Rule 5.1(i)
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/s/ Michael J. Stortz
Michael J. Stortz
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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S
The Honorable Charles R. Breyer
JUDGE OF THE UNITED D
DERESTATES
SO OR
IS COURT
DISTRICT
IT
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RT
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A TTORN E YS A T L A W
S A N F RA N C I S C O
har
Judge C
ER
H
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JOINT STIPULATION AND [PROPOSED] ORDER
RESCHEDULING CMC
-2-
reyer
les R. B
NO
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D RINKER B IDDLE &
R EATH LLP
RT
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Dated: November 22, 2013
UNIT
ED
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S DISTRICT
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I declare under penalty of perjury under the law of the United States of America that the
foregoing is true and correct. Executed on November 22, 2013 at San Francisco, California.
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Pursuant to Civil Local Rule 5.1(i), I, Michael J. Stortz, hereby attest that I have obtained
concurrence in the filing of this document from the other signatory to this document.
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D IS T IC T O
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CASE NO. 3:12-CV-04184-CRB
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