Otero v. Experian Information Solutions, Inc. et al
Filing
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STIPULATION AND ORDER re 17 Stipulation to extend time to respond filed by Earlene Otero. Signed by Judge Edward M. Chen on 4/7/17. (bpf, COURT STAFF) (Filed on 4/7/2017)
1 SCOTT J. SAGARIA (State Bar No. 217981)
ELLIOT W. GALE (State Bar No. 263326)
2 JOE B. ANGELO (State Bar No. 268542)
SCOTT M. JOHNSON (State Bar No. 287182)
3 Sagaria Law, P.C.
2033 Gateway Place, 5th Fl.
4 San Jose, California 95110
Telephone: (408) 279-2288
5 Facsimile: (408) 279-2299
6 Attorneys for Plaintiff
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA — SAN FRANCISCO DIVISION
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Earlene Otero,
Case No. 3:17-cv-00508-EMC
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Plaintiff,
STIPULATION TO EXTEND TIME FOR
DEFENDANT EXPERIAN
INFORMATION SOLUTIONS, INC. TO
RESPOND TO INITIAL COMPLAINT
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vs.
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Experian Information Solutions, Inc., et. al.,
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Action Filed:
January 31, 2017
Defendants.
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Plaintiff Earlene Otero (“Plaintiff”) and defendant Experian Information Solutions, Inc.
(“Experian”) hereby stipulate as follows:
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RECITALS
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1.
Plaintiff filed this action against Experian on January 31, 2017.
2.
The Parties previously stipulated to extend Experian’s time to respond to the
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complaint to April 3, 2017.
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4.
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Plaintiff has informed Experian that she intends to file a first amended complaint in
this action no later than April 10, 2017. Accordingly, Plaintiff and Experian agreed that Experian’s
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deadline to respond to the complaint should be extended to May 8, 2017, which is 28 days from
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the anticipated date of Plaintiff filing an amended complaint.
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This change in deadline will not alter the date of any event or any deadline already fixed
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by Court order, local rules, or the Federal Rules of Civil Procedure.
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STIPULATION TO EXTEND TIME FOR DEFENDANT EXPERIAN INFORMATION SOLUTIONS, INC. TO
RESPOND TO INITIAL COMPLAINT
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THEREFORE, the parties stipulate as follows:
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STIPULATION
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1.
The deadline for Experian to respond to the Complaint or any amended complaint
4 filed by April 10, 2017, shall be continued to May 8, 2017.
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2.
This change in deadline will not alter the date of any event or any deadline already
6 fixed by Court order, local rules, or the Federal Rules of Civil Procedure.
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IT IS SO STIPULATED.
8 DATED: April 3, 2017
SAGARIA LAW, P.C.
B
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B
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By:
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/s/ Elliot W. Gale
Elliot W. Gale
Attorneys for Plaintiff
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DATED: April 3, 2017
JONES DAY
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By:
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/s/ Ben Lee
Ben Lee
Attorneys for Defendant Experian Information
Solutions, Inc.
19 Pursuant to Local Rule 5-1(i)(3), I – Elliot W. Gale– attest that concurrence in the filing of this
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20 document has been obtained from Ben Lee. /s/ Elliot W. Gale
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STIPULATION TO EXTEND TIME FOR DEFENDANT EXPERIAN INFORMATION
SOLUTIONS, INC. TO RESPOND TO INITIAL COMPLAINT
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