Software Research, Inc. v. InfoGenius.com, Inc.
Filing
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STIPULATION AND ORDER EXTENDING TIME TO RESPOND TO COMPLAINT re 19 Stipulation filed by InfoGenius.com, Inc.. Signed by Judge Edward M. Chen on 7/1/15. (bpf, COURT STAFF) (Filed on 7/1/2015)
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Pei-Ru Wey (State Bar No. 289644)
pwey@crbcp.com
CAESAR RIVISE, P.C.
1635 Market St, 12th Floor
Philadelphia, PA 19103
Telephone: (215) 567-2010
Fax: (215) 751-1142
Attorneys for Defendant,
INFOGENIUS.COM, INC.
(d/b/a INFOGENIUS, INC.)
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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SOFTWARE RESEARCH, INC.,
Case No. 3:15-cv-02059-EMC
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Plaintiff,
SECOND JOINT STIPULATION
EXTEND TIME TO RESPOND
INITIAL COMPLAINT
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v.
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TO
TO
INFOGENIUS.COM, INC. (D/B/A
INFOGENIUS, INC.),
Defendant.
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SECOND STIPULATION TO EXTEND TIME
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CASE NO. 3:15-cv-02059-EMC
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A Joint Stipulation to extend time to respond to the initial complaint was filed on May 28,
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2015. Defendant’s deadline to respond to the Complaint is presently set for July 3, 2015. The
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Parties have reached a settlement agreement, wherein satisfaction of the terms of the agreement
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will extend past said deadline for Defendant’s response. To that end, and for good cause, Plaintiff
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and Defendant hereby jointly stipulate, pursuant to Local Rule 6.1(a), to extend the time for
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Defendant to respond to the Complaint by a period of 30-days until August 3, 2015. The Parties
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expect that the case will be dismissed with prejudice before said date.
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Dated: June 25, 2015
Respectfully submitted,
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By: /s/ Pei-Ru Wey
Pei-Ru Wey
pwey@crbcp.com
CAESAR RIVISE, PC
1635 Market St, 12th Floor
Philadelphia, PA 19103
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Attorney for Defendant,
INFOGENIUS.COM, INC.
(d/b/a INFOGENIUS, INC.)
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Local Rule 5-1(i)(2) Certification
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I attest that Benjamin Singer gave me his
permission to affix his electronic signature to
this document and electronically file it.
/s/ Pei-Ru Wey
By:
/s/ Benjamin Singer
Benjamin L. Singer (Bar No. 264295)
bsinger@coltsinger.com
Joseph C. Gabaeff (Bar No. 255054)
jgabaeff@coltsinger.com
Douglas S. Tilley (Bar No. 265997)
dtilley@coltsinger.com
COLT/SINGER/BEA LLP
601 Montgomery Street, Suite 1950
San Francisco, CA 94111
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A
H
ER
FO
Judge E
LI
RT
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. Chen
dward M
NO
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UNIT
ED
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R NIA
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Attorney for Plaintiff,
SOFTWARE RESEARCH, INC.
IT IS SO ORDERED: ES DISTRICT
T
C
TA
___________________
Edward M. Chen
ED
ORDER
U.S. District Judge SO
IT IS
S
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N
F
D IS T IC T O
R
C
SECOND STIPULATION TO EXTEND TIME
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CASE NO. 3:15-cv-02059-EMC
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I hereby certify that on June 29, 2015 a true and correct copy of the foregoing
documents were electronically filed with the Clerk of Court using the CM/ECF
system, which will send notification of such filing to the following counsel of
record:
Benjamin L. Singer
bsinger@coltsinger.com
Joseph C. Gabaeff
jgabaeff@coltsinger.com
Douglas T. Tilley
dtilley@coltsinger.com
COLT/SINGER/BEA LLP
601 Montgomery Street, Suite 1950
San Francisco, California 94111
Telephone: (415) 500-6080
Facsimile: (415) 500-6080 Dated: May 28, 2015
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Respectfully submitted,
By: /s/ Pei-Ru Wey
Pei-Ru Wey
pwey@crbcp.com
CAESAR RIVISE, PC
1635 Market St, 12th Floor
Philadelphia, PA 19103
Attorney for Defendant,
INFOGENIUS.COM, INC.
(d/b/a INFOGENIUS, INC.)
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SECOND STIPULATION TO EXTEND TIME
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CASE NO. 3:15-cv-02059-EMC
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