Pettit v. Procter & Gamble Company

Filing 64

STIPULATION AND ORDER RE 63 to Adjust Class Certification Opposition and Reply Deadlines. Signed by Judge Richard Seeborg on 3/8/17. (cl, COURT STAFF) (Filed on 3/8/2017)

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1 2 3 4 5 6 7 8 9 10 EMILY JOHNSON HENN (SBN 269482) COVINGTON & BURLING LLP 333 Twin Dolphin Drive, Suite 700 Redwood Shores, CA 94061 Telephone: 650-632-4700 Facsimile: 650-632-4800 Email: ehenn@cov.com SONYA D. WINNER (SBN 200348) CORTLIN H. LANNIN (SBN 266488) COVINGTON & BURLING LLP One Front Street, 35th Floor San Francisco, CA 94102 Telephone: 415-591-6000 Facsimile: 415-591-6091 Email: swinner@cov.com Email: clannin@cov.com Attorneys for Defendant The Procter & Gamble Company 11 12 UNITED STATES DISTRICT COURT 13 FOR THE NORTHERN DISTRICT OF CALIFORNIA 14 SAN FRANCISCO DIVISION 15 16 17 JAMIE PETTIT, an individual, on behalf of himself, the general public, and those similarly situated, 18 Plaintiff, 19 v. 20 PROCTER & GAMBLE COMPANY; AND DOES 1 THROUGH 50, 21 Defendants. 22 23 24 25 26 27 28 JOINT STIPULATION TO ADJUST CLASS CERTIFICATION OPPOSITION AND REPLY DEADLINES Civil Case No.: 3:15-cv-02150-RS Civil Case No.: 3:15-cv-02150-RS ORDER JOINT STIPULATION TO ADJUST CLASS CERTIFICATION OPPOSITION AND REPLY DEADLINES 1 Pursuant to Civil L.R. 6-1(b), 6-2, and 7-12, plaintiff Jamie Pettit and defendant The 2 Procter & Gamble Company (“P&G”) respectfully submit this joint stipulation to adjust the opposition 3 and reply deadlines related to plaintiff’s motion for class certification. 4 WHEREAS, at the August 13, 2015 Case Management Conference and in a subsequent 5 order, this Court set an initial briefing schedule for plaintiff’s motion for class certification (see Dkt. No. 6 24); 7 WHEREAS, the parties filed joint stipulations on four subsequent occasions to extend the 8 schedule for class certification, each of which was entered by the Court (see Dkt. Nos. 27, 29, 31 and 9 41); 10 WHEREAS, the last such stipulation (see Dkt. No. 41) was entered on August 29, 2016 11 and provided that plaintiff would file her motion for class certification by February 14, 2017; P&G 12 would file its opposition by March 28, 2017; plaintiff would file her reply by April 25, 2017; and the 13 hearing would be held at 1:30 p.m. on May 18, 2017. 14 WHEREAS, plaintiff timely filed her motion for class certification on February 14, 2017; 15 WHEREAS, to accommodate the parties’ agreed-upon schedule to depose various 16 individuals, including the named plaintiff and the parties’ class certification experts, and for P&G to 17 provide certain supplemental discovery on which the parties have agreed, the parties propose to add 18 three days to both the opposition and reply periods, but leave unchanged the hearing date. 19 NOW THEREFORE, THE PARTIES BY COUNSEL HEREBY STIPULATE as follows: 20 P&G shall provide certain agreed-upon supplemental discovery to plaintiff by March 17, 21 2017; P&G shall file its opposition to plaintiff’s motion for class certification by March 31, 2017; P&G 22 shall make available for deposition the week of April 17 any experts whose declarations are submitted in 23 opposition to class certification; plaintiff shall file her reply by May 2, 2017, and the hearing shall 24 remain on calendar for 1:30 p.m. on May 18, 2017, or another date convenient for the Court. 25 26 27 28 JOINT STIPULATION TO ADJUST CLASS CERTIFICATION OPPOSITION AND REPLY DEADLINES Civil Case No.: 3:15-cv-02150-RS 1 1 DATED: March 8, 2017 COVINGTON & BURLING LLP 2 By: /s/ Cortlin H. Lannin Cortlin H. Lannin 3 4 Attorneys for Defendant The Procter & Gamble Company 5 6 DATED: March 8, 2017 GUTRIDE SAFIER LLP 7 By: /s/ Adam Gutride Adam Gutride 8 9 Attorneys for Plaintiff 10 11 12 13 14 15 16 17 18 19 PURSUANT TO STIPULATION, AND FOR GOOD CAUSE SHOWN, THE COURT ORDERS AS FOLLOWS: P&G shall provide certain agreed-upon supplemental discovery to plaintiff by March 17, 2017; P&G shall file its opposition to plaintiff’s motion for class certification by March 31, 2017; P&G shall make available for deposition the week of April 17 any experts whose declarations are submitted in opposition to class certification; plaintiff shall file her reply by May 2, 2017, and the hearing shall remain on calendar for 1:30 p.m. on May 18, 2017, or another date convenient for the Court. 20 21 DATED: 3/8/17 THE HONORABLE RICHARD SEEBORG UNITED STATES DISTRICT JUDGE 22 23 24 25 26 27 28 JOINT STIPULATION TO ADJUST CLASS CERTIFICATION OPPOSITION AND REPLY DEADLINES Civil Case No.: 3:15-cv-02150-RS 2

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