craigslist, Inc. v. EveryMD.com LLC
Filing
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STIPULATION AND ORDER re 50 STIPULATION WITH PROPOSED ORDER EXTENDING TIME TO FILE JOINT CLAIM CONSTRUCTION STATEMENT filed by craigslist, Inc. Signed by Judge Edward M. Chen on 2/3/17. (bpfS, COURT STAFF) (Filed on 2/3/2017)
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LATHAM & WATKINS LLP
Perry J. Viscounty (Bar No. 132143)
perry.viscounty@lw.com
505 Montgomery, Suite 2000
San Francisco, CA 94111
(415) 395-8126 / (415) 463-2600 Fax
TECHCOASTLAW®
Frank M. Weyer (State Bar No. 127011)
fweyer@techcoastlaw.com
2032 Whitley Ave.
Los Angeles CA 90068
Telephone: (310) 494-6616
Facsimile: (310) 494-9089
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LATHAM & WATKINS LLP
Ryan R. Owens (Bar No. 228066)
ryan.owens@lw.com
Bradley A. Hyde (Bar No. 301145)
bradley.hyde@lw.com
650 Town Center Drive, 20th Floor
Costa Mesa, CA 92626
(714) 540-1235 / (714) 755-8095 Fax
Attorney for Defendant
EveryMD.com LLC
Attorneys for Plaintiff
craigslist, Inc.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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CRAIGSLIST, INC., a Delaware
corporation,
Plaintiff,
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Case No. 3:16-cv-03421-EMC
STIPULATION EXTENDING TIME TO
FILE JOINT CLAIM CONSTRUCTION
STATEMENT
v.
Assigned to Hon. Edward M. Chen
EVERYMD.COM LLC, a California
limited liability company,
Defendant.
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ATTORNEYS AT LAW
SAN FRANCISCO
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Case No.: 3:16-cv-03421-EMC
STIPULATION TO EXTEND TIME TO FILE JOINT
CLAIM CONSTRUCTION STATEMENT
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Pursuant to Civil Local Rules 6-1, 6-2 and 7-12, and related rules, Plaintiff craigslist, Inc.
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(“craigslist”) and Defendant EveryMD.com LLC (“EveryMD”) (collectively, “the Parties”)
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hereby jointly stipulate to extend the time for the Parties to file their Joint Claim Construction
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Statement.
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WHEREAS, the Parties’ Joint Claim Construction Statement is currently due February 2,
2017 (Dkt. No. 48);
WHEREAS, the Parties’ have executed a confidential settlement agreement in which they
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agreed to dismiss the current action upon completion of certain conditions precedent that are
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required to occur within 10 days of execution of the agreement, and are awaiting completion of
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those conditions precedent before filing the respective joint stipulation of dismissal;
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WHEREAS, this time modification would assist in the resolution of this matter.
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IT IS HEREBY STIPULATED by and among the Parties hereto, through their
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respective attorneys of record, and subject to the approval of the Court that:
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The deadline for the Parties to file their Joint Claim Construction statement shall
be extended from February 2, 2017 to February 10, 2017.
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IT IS SO STIPULATED.
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Dated: February 2, 2017
LATHAM & WATKINS LLP
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By /s/ Ryan R. Owens
Ryan R. Owens
Perry J. Viscounty
Bradley A. Hyde
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Attorneys for Plaintiff
CRAIGSLIST, INC.
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Dated: February 2, 2017
TECHCOASTLAW
By /s/ Frank M. Weyer
Frank M. Weyer
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Attorney for Defendant
EVERYMD.COM LLC
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ATTORNEYS AT LAW
SAN FRANCISCO
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Case No.: 3:16-cv-03421-EMC
STIPULATION TO EXTEND TIME TO FILE JOINT
CLAIM CONSTRUCTION STATEMENT
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ATTESTATION
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I hereby attest that concurrence in the filing of this document has been obtained from the
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other signatory.
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Dated: February 2, 2017
/s/ Ryan R. Owens
Ryan R. Owens
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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UNIT
ED
S
February 3
Dated: ______________________, 2017
RT
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dward
Judge E
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RT
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ER
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n
M. Che
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O ORD
IT IS S
R NIA
Hon. Edward M. Chen
United States District Judge RED
E
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S DISTRICT
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D IS T IC T O
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ATTORNEYS AT LAW
SAN FRANCISCO
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Case No.: 3:16-cv-03421-EMC
STIPULATION TO EXTEND TIME TO FILE JOINT
CLAIM CONSTRUCTION STATEMENT
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