Elder v. Hilton Worldwide Holdings, Inc. et al

Filing 85

STIPULATION AND ORDER re #84 Joint Stipulation Regarding Request for Extension of Time to Respond to Order Regarding Preliminary Approval of Settlement filed by Hilton Worldwide Holdings, Inc., Hilton Grand Vacations Company, Inc.. Signed by Judge Jon S. Tigar on October 25, 2017. (wsn, COURT STAFF) (Filed on 10/25/2017)

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1 Angela C. Agrusa (SBN 131337) angela,agrusa@dlapiper.com 2 David B. Farkas (SBN 257137) david.farkas@dlapiper.com 3 DLA PIPER LLP (US) th 1100 Glendon Avenue, 14 Floor 4 Los Angeles, California 90024.3518 Telephone: (310) 500-3500 5 Facsimile: (310) 500-3501 6 Attorneys for Defendants HILTON WORLDWIDE HOLDINGS, INC. and HILTON 7 GRAND VACATIONS COMPANY, INC. 8 9 10 UNITED STATES DISTRICT COURT 11 NORTHERN DISTRICT OF CALIFORNIA 12 13 TIMOTHY ELDER, individually and on behalf of all others similarly situated, 14 Plaintiff, 15 vs. 16 HILTON WORLDWIDE HOLDINGS, 17 INC. and HILTON GRAND VACATIONS COMPANY, INC., 18 Defendant. 19 Case No. 3:16-cv-00278 JOINT STIPULATION REGARDING REQUEST FOR EXTENSION OF TIME TO RESPOND TO ORDER REGARDING PRELIMINARY APPROVAL OF SETTLEMENT Hon. Jon S. Tigar Action Filed: January 15, 2016 20 21 22 23 24 25 26 27 28 Case No. 3:16-cv-00278 JOINT STIPULATION REGARDING REQUEST FOR EXTENSION OF TIME TO RESPONSD TO ORDER REGARDING PRELIMINARY APPROVAL OF SETTLEMENT DMSDB1\5168957.1 Plaintiff TIMOTHY ELDER (“Plaintiff”), and Defendants HILTON 1 2 WORLDWIDE HOLDINGS, INC. and HILTON GRAND VACATIONS 3 COMPANY, INC. (collectively, “Hilton”), by and through their undersigned 4 attorneys (collectively, the “Parties”) hereby stipulate as follows: 5 WHEREAS, Plaintiff filed this action on January 15, 2016; 6 WHEREAS, the Parties executed a Settlement Agreement resolving the 7 claims in this action; 8 WHEREAS, on June 16, 2017, Plaintiff filed a motion for preliminary 9 approval of the settlement (Dkt. No. 75); 10 WHEREAS, on October 10, 2017, the Court issued an Order directing 11 Plaintiff to submit additional briefing regarding the settlement by October 31, 2017 12 (Dkt. No. 83); 13 WHEREAS, the Parties have conferred regarding the Court’s Order and the 14 issues raised thereby and believe that an additional two weeks is necessary to 15 respond to the Court’s inquiries; 16 STIPULATION AND SIGNATURES 17 APPEAR ON THE FOLLOWING PAGES 18 / / / 19 / / / 20 / / / 21 / / / 22 / / / 23 / / / 24 / / / 25 / / / 26 / / / 27 / / / 28 / / / Case No. 3:16-cv-00278 1 JOINT STIPULATION REGARDING REQUEST FOR EXTENSION OF TIME TO RESPONSD TO ORDER REGARDING PRELIMINARY APPROVAL OF SETTLEMENT DMSDB1\5168957.1 1 THEREFORE, IT IS HEREBY STIPULATED between the Parties, by and 2 through their respective attorneys of record and/or representative(s), and subject to 3 the approval of the Court, the Plaintiff shall have until November 14, 2017 to submit 4 additional briefing to the Court pursuant to the Court’s October 10, 2017 Order. 5 6 Dated: October 24, 2017 BURSOR & FISHER, P.A. 7 8 By: 9 10 /s/ L. Timothy Fisher L. Timothy Fisher Attorneys for Attorneys for Plaintiff 11 12 Dated: October 24, 2017 DLA PIPER LLP (US) 13 14 By: 15 16 17 18 /s/ Angela C. Agrusa Angela C. Agrusa Attorneys for Defendants HILTON WORLDWIDE HOLDINGS, INC. and HILTON GRAND VACATIONS COMPANY, INC. 19 20 21 22 23 24 25 26 27 28 Case No. 3:16-cv-00278 2 JOINT STIPULATION REGARDING REQUEST FOR EXTENSION OF TIME TO RESPONSD TO ORDER REGARDING PRELIMINARY APPROVAL OF SETTLEMENT DMSDB1\5168957.1 1 2 SIGNATURE CERTIFICATION I hereby certify that the content of this document is acceptable to L. Timothy 3 Fisher and Jana Eisinger, counsel for Plaintiff, and I have obtained authorization to 4 affix an electronic signature to this document. 5 Dated: October 24, 2017 DLAPIPER LLP (US) 6 7 By: 8 9 10 /s/ Angela C. Agrusa Angela C. Agrusa Attorneys for Defendants HILTON GRAND VACATIONS COMPANY, LLC 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Case No. 3:16-cv-00278 3 JOINT STIPULATION REGARDING REQUEST FOR EXTENSION OF TIME TO RESPONSD TO ORDER REGARDING PRELIMINARY APPROVAL OF SETTLEMENT DMSDB1\5168957.1 1 Pursuant to the Joint Stipulation regarding an extension to respond to the 2 Court’s October 10, 2017 Order (Dkt 83), IT IS SO ORDERED. 3 October 25, 2017 4 DATED_________________, 2017 5 6 HON. JON S. TIGAR United States District Judge 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Case No. 3:16-cv-00278 4 JOINT STIPULATION REGARDING REQUEST FOR EXTENSION OF TIME TO RESPONSD TO ORDER REGARDING PRELIMINARY APPROVAL OF SETTLEMENT DMSDB1\5168957.1

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