Haralson v. U.S. Aviation Services Corp. et al
Filing
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STIPULATION AND ORDER re 71 STIPULATION WITH PROPOSED ORDER re 70 Continuing The Parties' Deadline To File Motion For Preliminary Approval of Class Settlement filed by U.S. Aviation Services Corp. Motion due by 1/9/2019. Signed by Judge Jon S. Tigar on January 3, 2019. (wsn, COURT STAFF) (Filed on 1/3/2019)
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SETAREH LAW GROUP
Shaun Setareh (SBN 204514)
shaun@setarehlaw.com
H. Scott Leviant (SBN 200834)
scott@setarehlaw.com
9454 Wilshire Boulevard, Suite 907
Beverly Hills, California 90212
Telephone: (310) 888-7771
Facsimile:
(310) 888-0109
Attorneys for Plaintiff
JAMES HARALSON
VEDDER PRICE (CA), LLP
Brendan Dolan (SBN 126732)
bdolan@vedderprice.corn
Joseph K. Mulherin (Pro Hac Vice)
jmulherin@vedderprice.com
Christopher A. Braham (293367)
cbraham@vedderprice.com
275 Battery Street, Suite 2464
San Francisco, California 94111
Telephone: (415) 749-9500
Facsimile:
(415) 749-9502
Attorneys for Defendant
U.S. AVIATION SERVICES CORP.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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JAMES HARALSON, on behalf of himself and
others similarly situated,
Plaintiff,
v.
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U.S. AVIATION SERVICES CORP., a Nevada
corporation; UNITED AIRLINES, INC., a
Delaware corporation; and DOES 1-50,
inclusive,
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Case No. 3:16-cv-05207-JST
STIPULATION CONTINUING THE
PARTIES’ DEADLINE TO FILE
MOTION FOR PRELIMINARY
APPROVAL OF CLASS
SETTLEMENT; [PROPOSED] ORDER
Defendants.
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Hon. Jon. S. Tigar
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STIPULATION TO CONTINUE DEADLINE
TO FILE MOTION FOR PRELIMINARY
APPROVAL OF CLASS SETTLEMENT;
[PROPOSED] ORDER
VEDDER PRICE (CA), LLP
ATTORNEYS AT LAW
LOS ANGELES
LOS_ANGELES/#47803.1
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This Stipulation is made by and between Plaintiff JAMES HARALSON (“Plaintiff”), and
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Defendant U.S. AVIATION SERVICES CORP.,
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through their respective counsel of record, with reference to the following facts:
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(“USAS”), (“collectively “the Parties”),
WHEREAS, the Parties’ deadline to file a Motion for Preliminary Approval of Class
Settlement (the “Motion”) is December 26, 2018;
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WHEREAS, the Parties have worked diligently towards finalizing the Motion and all
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supporting papers thereto but due to client unavailability during the holiday season the Parties
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have been unable to obtain the requisite client signatures to finalize the Motion and its supporting
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papers;
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WHEREAS, the Parties need additional time to obtain the requisite client signatures
before filing the Motion;
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THEREFORE, the Parties hereby stipulate and agree as follows:
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The deadline for the Parties to file the Motion shall be continued from December
26, 2018 to January 9, 2019.
IT IS SO STIPULATED.
Dated: December 26, 2018
SETAREH LAW GROUP
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By: /s/ H. Scott Leviant
Shaun Setareh
Thomas Segal
H. Scott Leviant
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Attorneys for Plaintiff
JAMES HARALSON
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Dated: December 26, 2018
VEDDER PRICE (CA), LLP
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By: /s/ Christopher A. Braham
Brendan Dolan
Christopher A. Braham
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Attorneys for Defendant
U.S. AVIATION SERVICES, CORP.
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VEDDER PRICE (CA), LLP
ATTORNEYS AT LAW
LOS ANGELES
LOS_ANGELES/#47803.1
STIPULATION TO CONTINUE DEADLINE
TO FILE MOTION FOR PRELIMINARY
APPROVAL OF CLASS SETTLEMENT;
[PROPOSED] ORDER
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ATTESTATION PURSUANT TO LOCAL RULE 5-1(i)(3)
I, Christopher A. Braham, attest that concurrence in the filing of this stipulation has been
obtained from all signatories.
Executed this 26th day of December 2018, in Los Angeles, California.
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/s/ Christopher A. Braham
Christopher A. Braham
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VEDDER PRICE (CA), LLP
ATTORNEYS AT LAW
LOS ANGELES
LOS_ANGELES/#47803.1
STIPULATION TO CONTINUE DEADLINE
TO FILE MOTION FOR PRELIMINARY
APPROVAL OF CLASS SETTLEMENT;
[PROPOSED] ORDER
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[PROPOSED] ORDER
Having received and reviewed the Parties’ Stipulation to continue the Parties’ deadline to
file a Motion for Preliminary Approval of Class Settlement, IT IS HEREBY ORDERED THAT:
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The deadline for the Parties to file the Motion for Preliminary Approval of Class
Settlement shall be continued from December 26, 2018 to January 9, 2019.
IT IS SO ORDERED.
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January 3, 2019
Dated: __________________________
THE HONORABLE JON S. TIGAR
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VEDDER PRICE (CA), LLP
ATTORNEYS AT LAW
LOS ANGELES
LOS_ANGELES/#47803.1
STIPULATION TO CONTINUE DEADLINE
TO FILE MOTION FOR PRELIMINARY
APPROVAL OF CLASS SETTLEMENT;
[PROPOSED] ORDER
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CERTIFICATE OF SERVICE
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I hereby certify that, on December 26, 2018, a copy of the foregoing STIPULATION
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CONTINUING THE PARTIES’ DEADLINE TO FILE MOTION FOR PRELIMINARY
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APPROVAL OF CLASS SETTLEMENT; [PROPOSED] ORDER was filed electronically
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and served by U.S. Mail on anyone unable to accept electronic filing. Notice of this filing will be
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sent by e-mail to all parties by operation of the court’s electronic filing system or by facsimile to
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anyone unable to accept electronic filing as indicated on the Notice of Electronic Filing. Parties
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may access this filing through the court’s EM/ECF System.
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/s/ Christopher A. Braham
Christopher A. Braham
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STIPULATION TO CONTINUE DEADLINE
TO FILE MOTION FOR PRELIMINARY
APPROVAL OF CLASS SETTLEMENT;
[PROPOSED] ORDER
VEDDER PRICE (CA), LLP
ATTORNEYS AT LAW
LOS ANGELES
LOS_ANGELES/#47803.1
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