Romaneck v. Safeway Inc. et al

Filing 13

STIPULATION AND ORDER re 10 Stipulation Extending Time for Defendants to Respond to the Complaint, filed by Safeway Inc. Signed by Judge Vince Chhabria on 5/15/2014. (knm, COURT STAFF) (Filed on 5/16/2014)

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1 2 3 4 LATHAM & WATKINS LLP Patrick E. Gibbs (Bar No. 183174) Allison S. Davidson (Bar No. 267964) Cara A. Gray (Bar No. 282865) 140 Scott Drive Menlo Park, California 94025 Telephone: +1.650.328.4600 Facsimile: +1.650.463.2600 5 6 Attorneys for Defendant Safeway, Inc. and the Individual Defendants 7 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 OAKLAND DIVISION 11 LAWRENCE ROMANECK, Individually and on Behalf of All Others Similarly Situated, Case No. 4:14-cv-02015 12 CLASS ACTION Plaintiff, 13 STIPULATION EXTENDING TIME FOR DEFENDANT SAFEWAY, INC. AND THE INDIVIDUAL DEFENDANTS TO RESPOND TO THE COMPLAINT AND ORDER v. 14 15 16 17 18 19 20 SAFEWAY, INC., ROBERT EDWARDS, JANET E. GROVE, MOHAN GYANI, FRANK C. HERRINGER, GEORGE J. MARROW, KENNETH W. ODER, T. GARY ROGERS, ARUN SARIN, WILLIAM Y. TAUSCHER, CERBERUS CAPITAL MANAGEMENT L.P., AB ACQUISITION LLC, ALBERSTON’S HOLDINGS LLC, ALBERTSON’S LLC, and SATURN ACQUISITION MERGER SUB, INC., Defendants. 21 22 WHEREAS, this action (“Complaint”) was filed on May 1, 2014; 23 WHEREAS, Defendant Safeway, Inc. (“Safeway”) was served with the summons and 24 25 26 Complaint on May 6, 2014; WHEREAS, pursuant to Federal Rule of Civil Procedure 12(a)(1), Safeway’s response is currently due on May 27, 2014; 27 28 ATTORNEYS AT LAW SILICON VALLEY 1 Case No. 4:14-cv-02015 STIPULATION SETTING TIME FOR DEFENDANTS TO RESPOND TO COMPLAINT 1 WHEREAS, Rule 6-1(a) of the Civil Local Rules of the Northern District of California 2 provides that the parties may stipulate to extend the time within which to answer or otherwise 3 respond to the Complaint without a Court Order; 4 5 6 WHEREAS, the parties have agreed to a 30 day extension of time by which Safeway will respond to the Complaint; WHEREAS Defendants Robert Edwards, Janet Grove, Mohan Gyani, Frank Herringer, 7 George Marrow, Kenneth Oder, T. Gary Rogers, Arun Sarin, and William Tauscher (“Individual 8 Defendants”) agreed to waive service as of May 9, 2014; 9 10 11 12 NOW, THEREFORE, the undersigned parties, through their respective counsel, stipulate as follows: Safeway and the Individual Defendants shall move against, answer or otherwise respond to the Complaint by and including June 26, 2014. 13 14 Dated: May 14, 2014 Respectfully submitted, LATHAM & WATKINS LLP 15 16 By: 17 18 /s/ Patrick E. Gibbs Patrick E. Gibbs Attorneys for Defendant Safeway, Inc. 19 20 Dated: May 14, 2014 GLANCY BINKOW & GOLDBERG LLP 21 22 By: /s/ Lionel Z. Glancey Lionel Z. Glancey Michael Goldberg DISTRIC Louis N. Goldberg ES T 23 24 ERED S ORD T IS SO I R NIA 27 Date: May 15, 2014 UNIT ED 26 T C TA Attorneys for Plaintiff Lawrence Romaneck RT U O 25 28 Case No. 4:14-cv-02015 STIPULATION SETTING TIME FOR DEFENDANTS TO RESPOND TO COMPLAINT A H ER hhabr ia FO RT ince C J u d ge V 2 LI NO ATTORNEYS AT LAW SILICON VALLEY N F C

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