craigslist, Inc. v. EveryMD.com LLC

Filing 51

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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1 2 3 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 4 5 6 7 8 9 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. 10 11 UNITED STATES DISTRICT COURT 12 NORTHERN DISTRICT OF CALIFORNIA 13 SAN FRANCISCO DIVISION 14 15 CRAIGSLIST, INC., a Delaware corporation, Plaintiff, 16 17 18 19 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. 20 21 22 23 24 25 26 27 28 ATTORNEYS AT LAW SAN FRANCISCO 1 Case No.: 3:16-cv-03421-EMC STIPULATION TO EXTEND TIME TO FILE JOINT CLAIM CONSTRUCTION STATEMENT 1 Pursuant to Civil Local Rules 6-1, 6-2 and 7-12, and related rules, Plaintiff craigslist, Inc. 2 (“craigslist”) and Defendant EveryMD.com LLC (“EveryMD”) (collectively, “the Parties”) 3 hereby jointly stipulate to extend the time for the Parties to file their Joint Claim Construction 4 Statement. 5 6 7 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 8 agreed to dismiss the current action upon completion of certain conditions precedent that are 9 required to occur within 10 days of execution of the agreement, and are awaiting completion of 10 those conditions precedent before filing the respective joint stipulation of dismissal; 11 WHEREAS, this time modification would assist in the resolution of this matter. 12 IT IS HEREBY STIPULATED by and among the Parties hereto, through their 13 14 15 respective attorneys of record, and subject to the approval of the Court that: 1. The deadline for the Parties to file their Joint Claim Construction statement shall be extended from February 2, 2017 to February 10, 2017. 16 17 IT IS SO STIPULATED. 18 Dated: February 2, 2017 LATHAM & WATKINS LLP 19 By /s/ Ryan R. Owens Ryan R. Owens Perry J. Viscounty Bradley A. Hyde 20 21 22 Attorneys for Plaintiff CRAIGSLIST, INC. 23 24 25 26 Dated: February 2, 2017 TECHCOASTLAW By /s/ Frank M. Weyer Frank M. Weyer 27 Attorney for Defendant EVERYMD.COM LLC 28 ATTORNEYS AT LAW SAN FRANCISCO 1 Case No.: 3:16-cv-03421-EMC STIPULATION TO EXTEND TIME TO FILE JOINT CLAIM CONSTRUCTION STATEMENT 1 ATTESTATION 2 I hereby attest that concurrence in the filing of this document has been obtained from the 3 other signatory. 4 5 Dated: February 2, 2017 /s/ Ryan R. Owens Ryan R. Owens 6 PURSUANT TO STIPULATION, IT IS SO ORDERED. 8 UNIT ED S February 3 Dated: ______________________, 2017 RT U O dward Judge E NO 12 RT 13 ER H 14 15 n M. Che FO 11 O ORD IT IS S R NIA Hon. Edward M. Chen United States District Judge RED E 10 LI 9 S DISTRICT TE C TA A 7 N F D IS T IC T O R C 16 17 18 19 20 21 22 23 24 25 26 27 28 ATTORNEYS AT LAW SAN FRANCISCO 2 Case No.: 3:16-cv-03421-EMC STIPULATION TO EXTEND TIME TO FILE JOINT CLAIM CONSTRUCTION STATEMENT

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