Malibu Media, LLC v. John Doe subscriber assigned IP address 67.169.102.58

Filing 40

ORDER by Magistrate Judge Sallie Kim granting 39 Motion for Extension of Time to Lodge Settlement Conference Statement. (sklc2S, COURT STAFF) (Filed on 5/10/2016)

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1 2 3 Robert C. Matz (California State Bar No. 217822) MATZ LAW GROUP 2425 Webb Avenue, Suite 200 Alameda, CA 94501 Telephone: (510) 263-8775 E-mail: robert@matzlawgroup.legal 4 Attorneys for [REDACTED] Doe Defendant 5 UNITED STATES DISTRICT COURT 6 IN AND FOR THE NORTHERN DISTRICT OF CALIFORNIA 7 SAN FRANCISCO DIVISION 8 9 MALIBU MEDIA, LLC, M ATZ L AW G ROUP Plaintiff, 11 2425 W E B B A V E N U E , S U I T E 200 A L A M E D A , C A 94501 (510)263-8775 ROBER T@MA TZ LAW GR OUP.LEGA L 10 v. 12 13 [REDACTED], Defendant. CASE NO. 3:15-CV-04154 WHA [REDACTED’S] REQUEST FOR MAGISTRATE JUDGE SALLIE KIM TO GRANT AN EXTENSION OF TIME (UNTIL MAY 11, 2016) TO SUBMIT A SETTLEMENT CONFERENCE STATEMENT IN RE: FEBRUARY 19, 2016 SETTLEMENT CONFERENCE AND ORDER 14 15 16 17 18 19 20 21 22 23 24 25 26 27 DEMAND FOR JURY TRIAL [REDACTED], (“Doe Defendant”), by and through attorney Robert C. Matz, of the Matz Law Group, hereby requests that Magistrate Judge Sallie Kim grant an extension of time for Doe Defendant to submit a Settlement Conference Statement. Due to an unforeseen delay in receiving documentation/evidence relating to a complete defense (which was to be delivered on or around May 2, 2016), Doe Defendant was unable to submit a complete Settlement Conference Statement on the date specified in the Settlement Conference Order. As Doe Defendant, in advance of the Settlement Conference, and in furtherance of the parties’ settlement efforts, is working with counsel for Plaintiff to ensure the forensic analysis of Doe Defendant’s computer is conducted in a manner that is acceptable to Plaintiff, and as that 28 CASE NO. 3:15-CV-04154 WHA [REDACTED’S] REQUEST FOR EXTENSION AND ORDER 1 2 3 4 5 6 7 forensic analysis is unlikely to be completed before the Settlement Conference on May 19, 2016, Doe Defendant hereby requests permission to submit a Settlement Conference Statement on May 11, 2016, after receiving permission from Magistrate Judge Kim to file the statement after the date set in the Settlement Conference Order. Counsel for Plaintiff has indicated to counsel for Doe Defendant that the inability to obtain a forensic analysis before the May 19, 2016 Settlement Conference will not be an impediment to settlement. 8 9 Dated: May 10, 2016 10 M ATZ L AW G ROUP 2425 W E B B A V E N U E , S U I T E 200 A L A M E D A , C A 94501 (510)263-8775 ROBER T@MA TZ LAW GR OUP.LEGA L 11 12 By: /s/ Robert C. Matz____________________ Robert C. Matz (California State Bar No. 217822) MATZ LAW GROUP 2425 Webb Avenue, Suite 200 Alameda, CA 94501 Telephone: (510) 263-8775 E-mail: robert@matzlawgroup.legal Attorney for [REDACTED] Doe Defendant 13 14 [PROPOSED] ORDER 15 Magistrate Sallie Kim has reviewed Doe Defendant’s request for an extension of time to 16 submit a Settlement Conference Statement and, for good cause appearing, grants Doe Defendant 17 until May 11, 2016 to submit a Settlement Conference Statement. 18 19 IT IS SO ORDERED: Dated: May 10, 2016 ____________________________ MAGISTRATE JUDGE SALLIE KIM 20 21 22 23 24 25 26 27 28 CASE NO. 3:15-CV-04154 WHA 2 [REDACTED’S] REQUEST FOR EXTENSION AND ORDER

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