Restoration Hardware, Inc. et al v. Light In The Box Limited

Filing 23

STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE AND EXTENDING TIME TO RESPOND TO COMPLAINT re 22 STIPULATION. Defendant LITB Holding Co.'s time to respond to the First Amended Complaint is extended by thirty days, from June 26, 2015, to and including July 27, 2015. Case Management Statement due by 7/28/2015. Case Management Conference set for 8/4/2015 02:00 PM in Courtroom 2, 17th Floor, San Francisco. Signed by Judge William H. Orrick on 06/22/2015. (jmdS, COURT STAFF) (Filed on 6/22/2015)

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4 Harrison J. Frahn IV (Bar No. 206822) hfrahn@stblaw.com SIMPSON THACHER & BARTLETT LLP 2475 Hanover Street Palo Alto, California 94304 Telephone: (650) 251-5000 Facsimile: (650) 251-5002 5 Attorneys for Defendant LightintheBox Holding Co., Ltd. 1 2 3 6 7 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 SAN FRANCISCO DIVISION 11 12 13 RESTORATION HARDWARE, INC., a Delaware corporation, and RH US, LLC, a Delaware limited liability company, Plaintiffs, 14 vs. 15 16 17 LIGHT IN THE BOX LIMITED, a Hong Kong limited liability company, and LIGHTINTHEBOX HOLDING CO., LTD., a Cayman Islands exempted company, 18 Civil Case No.: 3:15-cv-00924-WHO The Honorable William H. Orrick STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE AND EXTENDING TIME TO RESPOND TO COMPLAINT First Amended Complaint Filed: May 14, 2015 Current CMC Date: June 30, 2015 Defendants. 19 20 Plaintiffs Restoration Hardware, Inc. and RH US, LLC, (collectively, “Plaintiffs”), 21 22 and Defendant LightInTheBox Holding Company, Limited, (“LITB Holding Co.”) (collectively, 23 the “Parties”), hereby stipulate to a (1) 30-day continuance of the Case Management Conference 24 (“CMC”) (and all dates associated therewith), currently set for June 30, 2015, and (2) a 30-day 25 extension of Defendant LITB Holding Co.’s time to respond to the First Amended Complaint from 26 June 26, 2015, to and including July 27, 2015. The Parties’ stipulation is based on the following 27 facts: 28 STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE AND EXTENDING TIME TO RESPOND TO FIRST AMENDED COMPLAINT, CASE NO.: 4:15-CV-00924-WHO 1 2 3 1. Plaintiffs filed a First Amended Complaint (“FAC”) in the above captioned case against Defendant LITB Holding Co. on May 14, 2015, dkt. no. 13; 2. Plaintiffs and Defendant LITB Holding Co. conferred and subsequently entered a 4 joint stipulation extending Defendant LITB Holding Co.’s time to respond to the FAC from June 5 5, 2015 to June 26, 2015; 6 3. The Parties have since been in settlement discussions and would like time to 7 continue their settlement talks before taking the time and expense of responding to the FAC, filing 8 a Joint CMC statement, and preparing for and attending the CMC. 9 10 11 4. The Parties submit that this agreement was made in the spirit of conserving judicial resources and is in the best interests of the Parties. 5. The Parties, therefore, respectfully request that: (1) the CMC scheduled for June 12 30, 2015 be continued for 30 days, until late July, 2015 on a date convenient to the Court; (2) the 13 date for filing the Joint CMC Statement be continued until one week before the new CMC date; 14 and (3) Defendant LITB Holding Co.’s time to respond to the Complaint be extended from June 15 26, 2015, to and including July 27, 2015. 16 Dated: June 19, 2015 17 SIMPSON THACHER & BARTLETT LLP By: /s/ Harrison J. Frahn IV Harrison J. Frahn IV 18 Harrison J. Frahn IV hfrahn@stblaw.com 2475 Hanover Street Palo Alto, California 94304 Tel: (650) 251-5000 Fax: (650) 251-5002 19 20 21 22 Attorney for Defendant LightintheBox Holding Co., Ltd. 23 24 25 26 27 28 STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE AND EXTENDING TIME TO RESPOND TO FIRST AMENDED COMPLAINT, CASE NO.: 4:15-CV-00924-WHO 2 1 LEWIS ROCA ROTHGERBER LLP 2 By: /s/ Michael J. McCue Michael J. McCue 3 Michael J. McCue McCue@LRRLaw.com Aaron D. Johnson ADJohnson@LRRLaw.com 3993 Howard Hughes Parkway, Suite 600 Las Vegas, Nevada 89169-5996 Tel: (650) 391-1380 Fax: (702) 391-1395 4 5 6 7 8 Attorneys for Plaintiffs Restoration Hardware, Inc. and RH US, LLC 9 10 Attestation: Pursuant to Civil Local Rule 5-1(i)(3), the filer attests that 11 concurrence in the filing of this document has been obtained from the signatories to this 12 document. 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE AND EXTENDING TIME TO RESPOND TO FIRST AMENDED COMPLAINT, CASE NO.: 4:15-CV-00924-WHO 3 ORDER 1 Pursuant to the Parties’ stipulation and for good cause shown, IT IS HEREBY ORDERED 2 3 that: 4 1. The Case Management Conference shall be continued from June 30, 2015, until 5 August 4, 2015; 6 2. All other deadlines associated with the Case Management Conference, including 7 the filing of a Joint Case Management Conference statement, shall be continued until one week 8 before the new CMC date. The Parties shall comply with this Court’s Standing Order re: Initial 9 Case Management and the Standing Order for All Judges of the Northern District of California re: 10 11 12 Contents of Case Management Statements. 3. Defendant LITB Holding Co.’s time to respond to the First Amended Complaint is extended by thirty days, from June 26, 2015, to and including July 27, 2015. 13 14 Dated: June 22, 2015 ________________________ Honorable William H. Orrick United States District Judge 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND ORDER CONTINUING CASE MANAGEMENT CONFERENCE AND EXTENDING TIME TO RESPOND TO FIRST AMENDED COMPLAINT, CASE NO.: 4:15-CV-00924-WHO 4

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