Pettit v. Procter & Gamble Company
Filing
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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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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
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UNITED STATES DISTRICT COURT
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FOR THE NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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JAMIE PETTIT, an individual, on behalf of
himself, the general public, and those
similarly situated,
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Plaintiff,
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v.
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PROCTER & GAMBLE COMPANY; AND
DOES 1 THROUGH 50,
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Defendants.
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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
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Pursuant to Civil L.R. 6-1(b), 6-2, and 7-12, plaintiff Jamie Pettit and defendant The
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Procter & Gamble Company (“P&G”) respectfully submit this joint stipulation to adjust the opposition
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and reply deadlines related to plaintiff’s motion for class certification.
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WHEREAS, at the August 13, 2015 Case Management Conference and in a subsequent
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order, this Court set an initial briefing schedule for plaintiff’s motion for class certification (see Dkt. No.
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24);
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WHEREAS, the parties filed joint stipulations on four subsequent occasions to extend the
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schedule for class certification, each of which was entered by the Court (see Dkt. Nos. 27, 29, 31 and
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41);
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WHEREAS, the last such stipulation (see Dkt. No. 41) was entered on August 29, 2016
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and provided that plaintiff would file her motion for class certification by February 14, 2017; P&G
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would file its opposition by March 28, 2017; plaintiff would file her reply by April 25, 2017; and the
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hearing would be held at 1:30 p.m. on May 18, 2017.
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WHEREAS, plaintiff timely filed her motion for class certification on February 14, 2017;
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WHEREAS, to accommodate the parties’ agreed-upon schedule to depose various
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individuals, including the named plaintiff and the parties’ class certification experts, and for P&G to
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provide certain supplemental discovery on which the parties have agreed, the parties propose to add
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three days to both the opposition and reply periods, but leave unchanged the hearing date.
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NOW THEREFORE, THE PARTIES BY COUNSEL HEREBY STIPULATE as follows:
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P&G shall provide certain agreed-upon supplemental discovery to plaintiff by March 17,
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2017; P&G shall file its opposition to plaintiff’s motion for class certification by March 31, 2017; P&G
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shall make available for deposition the week of April 17 any experts whose declarations are submitted in
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opposition to class certification; plaintiff shall file her reply by May 2, 2017, and the hearing shall
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remain on calendar for 1:30 p.m. on May 18, 2017, or another date convenient for the Court.
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JOINT STIPULATION TO ADJUST CLASS CERTIFICATION
OPPOSITION AND REPLY DEADLINES
Civil Case No.: 3:15-cv-02150-RS
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DATED: March 8, 2017
COVINGTON & BURLING LLP
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By: /s/ Cortlin H. Lannin
Cortlin H. Lannin
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Attorneys for Defendant
The Procter & Gamble Company
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DATED: March 8, 2017
GUTRIDE SAFIER LLP
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By: /s/ Adam Gutride
Adam Gutride
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Attorneys for Plaintiff
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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.
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DATED: 3/8/17
THE HONORABLE RICHARD SEEBORG
UNITED STATES DISTRICT JUDGE
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JOINT STIPULATION TO ADJUST CLASS CERTIFICATION
OPPOSITION AND REPLY DEADLINES
Civil Case No.: 3:15-cv-02150-RS
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