Run Them Sweet, LLC v. CPA Global Limited et al

Filing 23

STIPULATION AND ORDER re 22 STIPULATION WITH PROPOSED ORDER Regarding Briefing Schedule on Defendants Motion to Transfer and Extension of Time to Respond to Initial Complaint filed by CPA Global Limited, CPA Global North America, LLC. Signed by Judge Jon S. Tigar on August 24, 2016. (wsn, COURT STAFF) (Filed on 8/24/2016)

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1 2 3 4 5 6 7 8 PENELOPE A. PREOVOLOS (CA SBN 87607) PPreovolos@mofo.com GRANT C. SCHRADER (CA SBN 273498) GSchrader@mofo.com MORRISON & FOERSTER LLP 425 Market Street San Francisco, California 94105-2482 Telephone: 415.268.7000 Facsimile: 415.268.7522 Attorneys for Defendants CPA GLOBAL NORTH AMERICA, LLC, AND CPA GLOBAL LIMITED 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 12 13 14 RUN THEM SWEET, LLC, a California limited liability company, on behalf of themselves and those similarly situated, Plaintiff, 15 16 17 18 19 20 21 v. Case No. 3:16-cv-03662-LB JST STIPULATION REGARDING BRIEFING SCHEDULE ON DEFENDANTS’ MOTION TO TRANSFER AND EXTENSION OF TIME TO RESPOND TO INITIAL COMPLAINT CPA GLOBAL LIMITED, a foreign entity formed under the laws of the Island of Jersey, Channel Islands, and CPA GLOBAL NORTH AMERICA, LLC, a Delaware limited liability company, Defendants. 22 23 24 25 26 27 28 STIP. RE: MOT. TO TRANSFER SCHEDULE & EXT. TIME TO RESPOND TO INITIAL COMPLAINT Case No. 3:16-cv-03662-LB sf-3686993 1 Pursuant to Local Rules 6-1 and 6-2, plaintiff Run Them Sweet, LLC (“Plaintiff”), and 2 defendants CPA Global North America, LLC, and CPA Global Limited (collectively, 3 “Defendants”), by and through their undersigned counsel, hereby stipulate and agree as follows: 4 WHEREAS, Plaintiff filed its Complaint in this case on June 29, 2016; 5 WHEREAS, pursuant to the parties’ July 20, 2016 stipulation (Dkt. 12), Defendants’ 6 7 8 9 current deadline to respond to the Complaint is September 6, 2016; WHEREAS, on August 18, 2016, Defendants filed a motion to transfer this action to the Eastern District of Virginia (Dkt. 20); WHEREAS, Plaintiff’s deadline to respond to Defendants’ motion to transfer is 10 September 1, 2016, Defendants’ reply deadline is September 8, 2016, and the hearing on the 11 motion is set for September 29, 2016, at 2 p.m. (Dkt. 21); 12 WHEREAS, to accommodate the parties’ schedules and provide sufficient time to 13 evaluate the venue issues presented by the motion to transfer, the parties have agreed on a revised 14 briefing schedule on Defendants’ motion to transfer; 15 WHEREAS, in order to promote the most efficient use of the Court’s and the parties’ 16 resources, the parties have further agreed to extend Defendant’s deadline to respond to the 17 Complaint until 30 days after the Court resolves Defendants’ motion to transfer, 18 19 WHEREAS, the July 20 stipulation to extend the time to respond to the Complaint (Dkt. 12) is the only previous modification of the deadlines in this case; 20 WHEREAS, this stipulated extension does not affect any other existing date or deadline; 21 IT IS HEREBY STIPULATED AND AGREED by the parties, through their counsel, that: 22 1. Plaintiff’s time to respond to the motion to transfer is extended to September 8, 23 2016, and Defendants’ time to file any reply papers on the motion to transfer is 24 extended to September 22, 2016. 25 26 27 28 2. The hearing on the motion to transfer shall remain September 29, 2016, at 2 p.m., or as soon thereafter as the Court may hear the motion. 3. Defendants’ deadline to answer or otherwise respond to the Complaint is extended until 30 days after the Court’s order on the motion to transfer. STIP. RE: MOT. TO TRANSFER SCHEDULE & EXT. TIME TO RESPOND TO INITIAL COMPLAINT Case No. 3:16-cv-03662-LB sf-3686993 1 1 Dated: August 24, 2016 2 PENELOPE PREOVOLOS GRANT C. SCHRADER MORRISON & FOERSTER LLP 3 4 By: 5 Attorneys for Defendant CPA GLOBAL NORTH AMERICA, LLC AND CPA GLOBAL LIMITED 6 7 8 /s/ Grant C. Schrader Grant C. Schrader Dated: August 24, 2016 9 ETHAN J. BROWN GEOFFREY A. NERI BROWN, NERI, SMITH & KHAN LLP 10 11 By: 12 /s/ Geoffrey A. Neri Geoffrey A. Neri Attorneys for Plaintiff RUN THEM SWEET, LLC 13 14 23 24 ER R NIA Ti ga r FO n S. J u d ge J o H 22 RT 21 I NO 20 ERED ORD T IS SO LI 19 Hon. Jon S. Tigar United States District Judge A 18 Dated: August 24, 2016 RT U O 17 S DISTRICT TE C _____________________________ TA S 16 PURSUANT TO STIPULATION, IT IS SO ORDERED. UNIT ED 15 N D IS T IC T R OF C 25 26 27 28 STIP. RE: MOT. TO TRANSFER SCHEDULE & EXT. TIME TO RESPOND TO INITIAL COMPLAINT Case No. 3:16-cv-03662-LB sf-3686993 1

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