Swearingen et al v. Santa Cruz Natural, Inc.
Filing
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ORDER (w/Judge's signature) setting motion 2/7/14 (tfS, COURT STAFF) (Filed on 10/4/2013)
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Robert B. Hawk (Bar No. 118054)
J. Christopher Mitchell (Bar No. 215639)
Stacy Hovan (Bar No. 271485)
HOGAN LOVELLS US LLP
525 University Avenue, 4th Floor
Palo Alto, California 94301
Telephone: + 1 (650) 463-4000
Facsimile: + 1 (650) 463-4199
robert.hawk@hoganlovells.com
chris.mitchell@hoganlovells.com
stacy.hovan@hoganlovells.com
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Attorneys for Defendant
SANTA CRUZ NATURAL, INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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MARY SWEARINGEN and ROBERT FIGY,
individually and on behalf of all others similarly
situated,
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Case No. 13-CV-4291-SI
STIPULATION AND [PROPOSED]
ORDER REGARDING SCHEDULING
Plaintiffs,
The Hon. Susan Illston
v.
SANTA CRUZ NATURAL, INC.,
Defendant.
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STIPULATION AND [PROPOSED] ORDER REGARDING SCHEDULING
CASE NO. 13-CV-4291-SI
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Plaintiffs and Defendant Santa Cruz Natural, Inc., by and through their respective counsel
of record, enter into the following stipulation, based upon the recitals below:
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On September 16, 2013, Plaintiffs filed a putative class action complaint against
Defendant.
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2.
Defendant was served on September 24, 2013.
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3.
Plaintiffs have agreed to stipulate to extend the deadline for Defendant to respond
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to the complaint to December 6, 2013.
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4.
Defendant expects to file a motion to dismiss on or before December 6, 2013.
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5.
In order to accommodate the needs of counsel’s schedules, the parties have agreed,
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subject to Court approval, to modify the briefing schedule for Defendant’s motion to dismiss as
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follows: Plaintiffs’ opposition to the motion will be due on or before January 10, 2014, and
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Defendant’s reply will be due on or before January 24, 2014.
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6.
Defendant expects to notice the hearing for its motion to dismiss on or after
February 14, 2014 at 9:00 a.m.
IT IS SO STIPULATED.
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Dated: October 2, 2013
By:
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Dated: October 2, 2013
By:
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PRATT & ASSOCIATES
/s/ Pierce Gore
Ben F. Pierce Gore
Attorneys for Plaintiffs
HOGAN LOVELLS US LLP
/s/ Robert B. Hawk
Robert B. Hawk
Attorneys for Defendant
SANTA CRUZ NATURAL, INC.
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I, Robert B. Hawk, attest that Pierce Gore has approved the Stipulation And [Proposed]
Order Regarding Scheduling and consents to its filing in this action.
By:
/s/ Robert B. Hawk
Robert B. Hawk
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STIPULATION AND [PROPOSED] ORDER REGARDING SCHEDULING
CASE NO. 13-CV-4291-SI
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ORDER
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PURSUANT TO STIPULATION, and good cause appearing, the Court orders that
Defendant’s response to the Complaint is due by December 6, 2013. Plaintiffs’ opposition to any
motion to dismiss filed by Defendant shall be due on or before January 10, 2014, and Defendant’s
reply shall be due on or before January 24, 2014.
Motion hearing set on 2/7/14 @ 9 a.m.
IT IS SO ORDERED.
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Dated: _______________, 2013
_____________________________
The Honorable Susan Illston
UNITED STATES DISTRICT COURT
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The initial case management conference is continued from 12/19/13 to 2/21/14 @ 2:30 p.m.
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STIPULATION AND [PROPOSED] ORDER REGARDING SCHEDULING
CASE NO. 13-CV-4291-SI
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