Somers v. Digital Realty Trust Inc et al

Filing 14

STIPULATION AND ORDER re 12 Stipulation filed by Digital Realty Trust Inc. Signed by Judge Edward M. Chen on 12/22/14. (bpf, COURT STAFF) (Filed on 12/22/2014)

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1 2 3 4 5 6 SEYFARTH SHAW LLP Brian T. Ashe (SBN 139999) bashe@seyfarth.com 560 Mission Street, 31st Floor San Francisco, California 94105-2930 Telephone: (415) 397-2823 Facsimile: (415) 397-8549 Attorneys for Defendants DIGITAL REALTY TRUST, INC. and ELLEN JACOBS 7 UNITED STATES DISTRICT COURT 8 NORTHERN DISTRICT OF CALIFORNIA 9 10 PAUL SOMERS, an individual, 11 12 13 14 Case No. 4:14-cv-05180-EMC Plaintiff, STIPULATION TO EXTEND TIME TO RESPOND OR ANSWER v. DIGITAL REALTY TRUST, INC., a Maryland corporation, ELLEN JACOBS, and individual, and DOES ONE through TEN, inclusive, 15 Complaint filed: November 24, 2014 Defendants. 16 17 18 STIPULATION 19 Pursuant to Civil Local Rule 6-1(b), Plaintiff PAUL SOMERS and Defendants DIGITAL 20 REALTY TRUST, INC. and ELLEN JACOBS, by and through their undersigned counsel, hereby 21 stipulate and agree as follows: 22 23 24 25 26 WHEREAS, on November 24, 2014, Plaintiff filed a Complaint for Damages in this Court, alleging employment-related claims against Defendants. WHEREAS, on December 2, 2014, Plaintiff served Defendant DIGITAL REALTY TRUST, INC. with a copy of the Summons and Complaint in this matter; WHEREAS, on December 8, 2014, Plaintiff mailed a waiver of service of Summons in this 27 matter regarding Defendant JACOBS, whose deadline for responding to the complaint shall be February 28 6, 2015. See Fed.R.Civ.P. 12 & 4(d). 1 STIPULATION TO EXTEND TIME TO RESPOND OR ANSWER 18715445v.1 1 2 3 WHEREAS, the parties have agreed to extend the deadline for DIGITAL to respond to the Complaint or otherwise plead so that the deadline for all Defendants is February 6, 2015. NOW THEREFORE, THE PARTIES HEREBY STIPULATE that Defendants DIGITAL 4 REALTY TRUST, INC. and ELLEN JACOBS shall both have until February 6, 2015 to respond or 5 otherwise plead in this matter. 6 IT IS SO STIPULATED. 7 8 DATED: December 19, 2014 By: /s/ Stephen F. Henry Stephen F. Henry 9 Attorneys for Plaintiff PAUL SOMERS 10 11 12 DATED: December 19, 2014 SEYFARTH SHAW LLP 13 By: /s/ Brian T. Ashe Brian T. Ashe 14 15 Attorneys for Defendants DIGITAL REALTY TRUST, INC. and ELLEN JACOBS 16 17 18 19 20 ATTESTATION PURSUANT TO LOCAL RULE 5-1(i)(3) I, Brian T. Ashe, attest that concurrence in the filing of this document has been obtained from the signatory Stephen F. Henry. Executed this 19th day of December 2014 in San Francisco, California. 21 DATED: December 19, 2014 RT 28 H ER 18715445v.1 R NIA NO 27 By: /s/ Brian T. Ashe Brian T. Ashe Attorneys for Defendants DIGITAL REALTY TRUST, INC. and ELLEN JACOBS FO 26 IT IS SO ORDERED: ___________________ ORDERED O IT IS S Edward M. Chen U.S. District Judge n M. Che Edward Judge LI 25 UNIT ED 24 RT U O S 23 SEYFARTH SHAW LLP ISTRIC ES D TC T TA A 22 C 2 OF D I S T I C T EXTEND TIME TO RESPOND OR ANSWER STIPULATION TO R N

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