Perez v. Monster Inc. et al
Filing
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ORDER GRANTING STIPULATION TO EXTEND TIME FOR DEFENDANTS TO RESPOND TO CLASS ACTION COMPLAINT re 15 Stipulation filed by Best Buy Co., Inc., Monster Inc.. Signed by Judge Edward M. Chen on 10/9/15. (dt, COURT STAFF) (Filed on 10/9/2015)
BURSOR & FISHER, P.A.
L. Timothy Fisher (State Bar No. 191626)
Julia A. Luster (State Bar No. 295031)
1990 North California Boulevard, Suite 940
Walnut Creek, CA 94596
Telephone: (925) 300-4455
Facsimile: (925) 407-2700
E-Mail: ltfisher@bursor.com
jluster@bursor.com
SACKS, RICKETTS & CASE, LLP
Luanne Sacks (SBN 120811)
Michele Floyd (SBN 163031)
177 Post Street, Suite 650
San Francisco, CA 94108
Telephone: 415.549.0580
Facsimile: 415.549.0640
Email: lsacks@srclaw.com
mfloyd@srclaw.com
Attorneys for Defendants
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BURSOR & FISHER, P.A.
Joshua Arisohn (Pro Hac Vice)
888 Seventh Avenue
New York, NY 10019
Telephone: (646) 837-7150
E-Mail: jarisohn@bursor.com
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Attorneys for Plaintiff and Putative Class
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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Plaintiff,
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v.
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MONSTER INC. and BEST BUY CO., INC., )
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Defendants.
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BENJAMIN PEREZ, individually and on
behalf of all others similarly situated,
Case No.: 3:15-cv-03885
STIPULATION TO EXTEND TIME FOR
DEFENDANTS TO RESPOND TO
CLASS ACTION COMPLAINT
[LOCAL RULE 6-1]
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IT IS HEREBY AGREED BY AND BETWEEN THE PARTIES HERETO, through
their respective counsel of record, as follows:
1. Plaintiff filed a Class Action Complaint (“Complaint”) in this action on August 25,
2015;
2. Monster Inc. (“Monster”) was served with the Complaint on August 31, 2015, and
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STIPULATION TO EXTEND TIME FOR DEFENDANT TO RESPOND TO CLASS ACTION
COMPLAINT
CASE NO. 3:15-cv-03885
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thus its deadline to file an answer or otherwise plead in response to the Complaint
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was September 21, 2015;
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3. Best Buy Co., Inc. (“Best Buy”) was served with the Complaint on August 28, 2015,
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and thus its deadline to file an answer or otherwise plead in response to the Complaint
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was September 18, 2015;
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4. On September 15, 2015, the Parties agreed to extend Defendants’ time to answer or
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otherwise plead in response to the Complaint up to and including October 12, 2015;
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5. The Parties have now agreed to further extend the time for Defendants to respond to
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the Complaint up to and including October 30, 2015;
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6. No Party will be prejudiced by the stipulated-to extension;
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7. This Stipulation is without prejudice to, or waiver of, any rights or defenses otherwise
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available to the Parties in this action;
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8. This is the second extension of time to respond and it will not alter the date of any
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event or any deadline already fixed by Court order.
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Now, therefore, it is hereby stipulated and agreed as follows:
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Defendants Monster and Best Buy shall have up to and including October 30, 2015, to
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answer or otherwise respond to Plaintiff’s Class Action Complaint [Dkt. 1].
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Dated: October 9, 2015
SACKS, RICKETTS & CASE LLP
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By: /s/ Michele Floyd
LUANNE SACKS
MICHELE FLOYD
Attorneys for Defendants
MONSTER INC. and BEST BUY CO., INC.
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RT
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dward
Judge E
R NIA
NO
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n
M. Che
BURSOR & FISHER, P.A.
By: /s/ Joshua Arisohn
Joshua Arisohn
Counsel for Plaintiff BENJAMIN PEREZ and the
putative class
FO
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H
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ER
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STIPULATION TO EXTEND TIME FOR DEFENDANT TO RESPOND TO CLASS ACTION
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F
D IS T IC T O
COMPLAINT
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CASE NO. 3:15-cv-03885
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Dated: October 9, 2015
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ATTESTATION CLAUSE
I, Michele Floyd, am the ECF user whose identification and password are being used to
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file the foregoing Joint Stipulation Extending Time for Defendant to Respond to Class Action
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Complaint. I hereby attest that the above-referenced signatories to this stipulation have
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concurred in this filing.
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Dated: October 9, 2015
SACKS, RICKETTS & CASE LLP
Signed: /s/ Michele Floyd
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LUANNE SACKS
MICHELE D. FLOYD
Attorneys for Defendants
MONSTER INC. and BEST BUY
CO., INC.
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STIPULATION TO EXTEND TIME FOR DEFENDANT TO RESPOND TO CLASS ACTION
COMPLAINT
CASE NO. 3:15-cv-03885
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