Codexis, Inc. v. EnzymeWorks, Inc. et al

Filing 92

ORDER granting 90 STIPULATION to Extend Discovery Deadlines. Close of Fact Discovery due by 8/30/2017. Signed by Judge William H. Orrick on 06/26/2017. (jmdS, COURT STAFF) (Filed on 6/26/2017)

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1 7 DOUGLAS E. LUMISH (Bar No. 183863) doug.lumish@lw.com GABRIEL S. GROSS (Bar No. 254672) gabe.gross@lw.com PATRICIA YOUNG (Bar No. 291265) patricia.young@lw.com JIE WANG (Bar No. 306395) jie.wang@lw.com LATHAM & WATKINS LLP 140 Scott Drive Menlo Park, California 94025 Telephone: +1.650.328.4600 Facsimile: +1.650.463.2600 8 Attorneys for Plaintiff CODEXIS, INC. 2 3 4 5 6 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 SAN FRANCISCO DIVISION 12 13 14 CODEXIS, INC. 15 Plaintiff, 16 v. 17 18 19 CASE NO. 3:16-cv-00826-WHO STIPULATION AND ORDER TO EXTEND DISCOVERY DEADLINES ENZYMEWORKS, INC., a California corporation, ENZYMEWORKS, INC., a Chinese corporation a/k/a SUZHOU HANMEI BIOTECHNOLOGY CO. LTD d/b/a ENZYMEWORKS, INC. (CHINA), and JUNHUA TAO, an individual, 20 Defendants. 21 22 23 24 25 26 27 28 ATTORNEYS AT LAW SILICON VA LLE Y STIPULATION AND ORDER CASE NO. 3:16-CV-00826-WHO 1 Pursuant to Civil Local Rule 6-1(b) and 6-2, Plaintiff Codexis, Inc. (“Codexis”), and De- 2 fendants EnzymeWorks, Inc. (U.S.), EnzymeWorks, Inc. (China), and Junhua Tao (collectively, 3 “Defendants”), by and through their counsel, file this Stipulation and [Proposed] Order to Extend 4 Discovery Deadlines. 5 6 7 8 9 10 11 12 WHEREAS, on April 29, 2016, Codexis filed a First Amended Complaint against Defendants; WHEREAS, on May 10, 2016, the parties submitted a Joint Case Management Statement with a proposed schedule of events; WHEREAS, on May 17, 2016, the parties participated in a Case Management Conference with the Court; WHEREAS, on May 20, 2016, the Court issued a Civil Pretrial Order setting July 27, 2017, as the fact discovery cutoff date; 13 NOW, THEREFORE, the parties stipulate to and request a Court order to extend the fact 14 discovery cutoff date to August 30, 2017 and the expert discovery dates as follows: exchange of 15 opening expert reports to October 11, 2017, exchange of rebuttal expert reports to November 10, 16 2017, and expert discovery cutoff date to December 22, 2017. 17 18 Dated: June 22, 2017 19 Respectfully submitted, LATHAM & WATKINS LLP 20 By /s/ Gabriel S. Gross Gabriel S. Gross Attorneys for Plaintiff CODEXIS, INC. 21 22 23 24 Dated: June 22, 2017 Respectfully submitted, LILAW INC. 25 By /s/ J. James Li J. James Li Attorneys for Defendants ENZYMEWORKS, INC. (U.S.), ENZYMEWORKS, INC. (China), and JUNHUA TAO 26 27 28 ATTORNEYS AT LAW SILICON VA LLE Y STIPULATION AND ORDER CASE NO. 3:16-CV-00826-WHO 1 1 ORDER 2 PURSUANT TO STIPULATION, IT IS SO ORDERED. 3 4 5 Dated: June 26, 2017 THE HONORABLE WILLIAM H. ORRICK United States District Court Judge 6 7 8 9 10 11 ATTESTATION 12 Pursuant to Civil Local Rule 5-1(i)(3), I hereby attest that the concurrence in the filing of 13 this document has been obtained from the other signatory, which shall serve in lieu of his signa- 14 ture. 15 16 17 Dated: June 22, 2017 By /s/ Gabriel S. Gross Gabriel S. Gross 18 19 20 21 22 23 24 25 26 27 28 ATTORNEYS AT LAW SILICON VA LLE Y 2 STIPULATION AND ORDER CASE NO. 3:16-CV-00826-WHO

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