Dana Rhinerson, et al -v- Van's International Foods, Inc.

Filing 41

Order by Hon. Vince Chhabria granting 40 Stipulation to Continue Defendant's Motion to Dismiss Hearing Date.(knm, COURT STAFF) (Filed on 5/16/2014)

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1 2 3 4 5 6 7 8 Scott Edward Cole, Esq. (S.B. #160744) Molly A. DeSario, Esq. (S.B. #230763) Stephen Noel Ilg, Esq. (S.B. #275599) SCOTT COLE & ASSOCIATES, APC 1970 Broadway, Ninth Floor Oakland, California 94612 Telephone: (510) 891-9800 Facsimile: (510) 891-7030 Email: scole@scalaw.com Email: mdesario@scalaw.com Email: silg@scalaw.com Web: www.scalaw.com Attorneys for Representative Plaintiffs and the Plaintiff Classes 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 12 ATTORNEY’S AT LAW THE TOWER BUILDING 1970 BROADWAY, NINTH FLOOR OAKLAND, CA 94612 TEL: (510) 891-9800 SCOTT COLE & ASSOCIATES, APC 11 13 DANA RHINERSON and AIDIN MORADI, individually, and on behalf of all others similarly situated, 14 15 16 17 Plaintiffs, vs. VAN’S INTERNATIONAL FOODS, INC., d/b/a Van’s Natural Foods, Defendant. 18 19 ) Case No. 3:13-CV-05923 VC ) ) CLASS ACTION ) ) STIPULATION AND [PROPOSED] ORDER ) CONTINUING DEFENDANT’S MOTION ) ) TO DISMISS HEARING DATE AS MODIFIED ) ) Honorable Vince Chhabria ) ) ) ) ) 20 21 Pursuant to Civil Local Rule 7-12, Plaintiffs Dana Rhinerson and Aidin Moradi (“Plaintiffs”) 22 and Defendant Van’s International Foods, Inc. (“Defendant”) (collectively, “the Parties”), by and 23 through their counsel hereby stipulate and agree as follows: 24 25 26 27 WHEREAS, Defendant filed its Motion to Dismiss Plaintiffs’ Complaint on February 21, 2014 (“Motion”); WHEREAS, the current hearing date is May 29, 2014 and Plaintiffs have a previously scheduled hearing in another matter; 28 -1Stipulation and [PROPOSED] Order Continuing Defendant’s Motion to Dismiss Hearing Date 1 2 3 4 5 WHEREAS, the Parties have conferred and Defendant does not oppose Plaintiffs’ request; IT IS HEREBY STIPULATED that 1. The hearing for Defendant’s Motion to Dismiss is continued to the continued Motion hearing date of June 26, 2014. IT IS SO STIPULATED. 6 7 Dated: May 14, 2014 HOGAN LOVELLS US LLP By: 8 /s/ Benjamin T. Diggs Benjamin T. Diggs Attorneys for Defendant Van’s International Foods, Inc. 9 10 Dated: May 14, 2014 SCOTT COLE & ASSOCIATES, APC By: 12 ATTORNEY’S AT LAW THE TOWER BUILDING 1970 BROADWAY, NINTH FLOOR OAKLAND, CA 94612 TEL: (510) 891-9800 SCOTT COLE & ASSOCIATES, APC 11 /s/ Stephen Noel Ilg Stephen Noel Ilg Attorneys for Representative Plaintiffs and the Plaintiff Classes 13 14 15 16 17 I, Stephen Noel Ilg, hereby attest, pursuant to N.D. Cal. Local Rule 5.1(i)(3) that concurrence to the filing of this document has been obtained from each signatory. 18 By: /s/ Stephen Noel Ilg 19 20 [PROPOSED] ORDER 21 22 PURSUANT TO STIPULATION, IT IS SO ORDERED. The parties are reminded of paragraph five of the Court's 23 standing order for civil cases. 24 25 26 27 May 15, 2014 DATED: _________________ _______________________________ HONORABLE VINCE CHHABRIA United States District Court Judge 28 -2Stipulation and [PROPOSED] Order Continuing Defendant’s Motion to Dismiss Hearing Date

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