Love & Hummus Company, LLC v. Tribe Mediterranean Foods, Inc.
Filing
24
ORDER, Motions terminated: 23 STIPULATION WITH PROPOSED ORDER Continuing Initial Case Management Conference filed by Love & Hummus Company, LLC. Initial Case Management Conference set for 6/6/14 has been continued to 7/25/14 02:30 PM in Courtroom 10, 19th Floor, San Francisco.. Signed by Judge Susan Illston on 5/27/14. (tfS, COURT STAFF) (Filed on 5/28/2014) Modified on 5/28/2014 (tfS, COURT STAFF).
COBLENTZ PAT CH DUF FY & BASS LLP
One Ferry Bu ildi ng , Su ite 200 , Sa n Franc isc o, Cali for ni a 94111-4213
415.391.4800 • Fax 415.989.1663
1 JEFFREY G. KNOWLES (State Bar No. 129754)
KAREN S. FRANK (State Bar No. 130887)
2 SCOTT C. HALL (State Bar No. 232492)
COBLENTZ PATCH DUFFY & BASS LLP
3 One Ferry Building, Suite 200
San Francisco, California 94111-4213
4 Telephone: 415.391.4800
Facsimile: 415.989.1663
5 Email: ef-jgk@cpdb.com,
ksfrank@coblentzlaw.com,
ef-sch@cpdb.com
6
7 Attorneys for The Love & Hummus Company
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9
UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION
10
The Love & Hummus Company, LLC,
Case No. 3:14-cv-00019-SI
11
Plaintiff,
12
v.
STIPULATION AND [PROPOSED]
ORDER CONTINUING INITIAL CASE
MANAGEMENT CONFERENCE
13
Tribe Mediterranean Foods, Inc.,
14
Judge: Hon. Judge Susan Illston
Trial Date: None Set
Defendant.
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By and through their respective counsel, Plaintiff The Love & Hummus Company, LLC
17 ("Love & Hummus"), and Defendant Tribe Mediterranean Foods, Inc. ("Tribe" and, together with
18 Love & Hummus, "the Parties") hereby stipulate as follows:
19
WHEREAS, on January 2, 2014, Plaintiff Love & Hummus filed its Complaint for
20 Trademark Infringement, False Designation and Unfair Competition ("the Complaint") against
21 Defendant Tribe;
22
WHEREAS, on February 7, 2014, this case was reassigned to the Honorable Susan Illston,
23 and an Initial Case Management Conference was set for April 4, 2014;
24
WHEREAS, the Parties previously stipulated to continue the April 4, 2014 Case
25 Management Conference until June 6, 2014, in order to allow the parties to engage in settlement
26 discussions;
27
WHEREAS, the Parties have previously stipulated to extend the time for Defendant Tribe
28 to respond to the Complaint until ten (10) days prior to the June 6, 2014 Case Management
08561.082 2833297v1
3:14-cv-00019-SI
1
STIPULATION AND [PROPOSED] ORDER CONTINUING INITIAL CASE MANAGEMENT
CONFERENCE
1 Conference;
2
WHEREAS, the Parties believe that they are close to reaching a settlement in this action
3 and that additional time to discuss potential resolutions would be beneficial to the Parties and may
4 avoid unnecessary costs and resources of the Parties and the Court.
5
ACCORDINGLY, the Parties hereby stipulate and request that the Court continue the
COBLENTZ PAT CH DUF FY & BASS LLP
One Ferry Bu ildi ng , Su ite 200 , Sa n Franc isc o, Cali for ni a 94111-4213
415.391.4800 • Fax 415.989.1663
6 Initial Case Management Conference scheduled for June 6, 2014 until July 25, 2014, and that all
7 corresponding deadlines be rescheduled accordingly.
8 DATED: May 27, 2014
COBLENTZ PATCH DUFFY & BASS LLP
9
10
By:
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12
13 DATED: May 27, 2014
/s/ Scott Hall
SCOTT HALL
Attorneys for THE LOVE & HUMMUS
COMPANY
KILPATRICK TOWNSEND & STOCKTON LLP
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15
By:
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17
/s/ Ryan Bricker
RYAN BRICKER
Attorneys for Defendant TRIBE
MEDITERRANEAN FOODS, INC.
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19
IT IS SO ORDERED.
20 DATED:
5/27/14
21
_______________________________________
The Hon. Susan Illston
United States District Judge
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In compliance with General Order 45, X.B., I hereby attest that Ryan Bricker has
concurred in this filing.
DATED: May 27, 2014
27
_______/s/ Scott Hall___________________________
SCOTT HALL
Attorneys for THE LOVE & HUMMUS COMPANY
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08561.082 2833297v1
3:14-cv-00019-SI
2
STIPULATION AND [PROPOSED] ORDER CONTINUING INITIAL CASE MANAGEMENT
CONFERENCE
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