Peacock v. The 21st Amendment Brewery Cafe, LLC
Filing
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STIPULATION AND ORDER re #11 STIPULATION WITH PROPOSED ORDER to Extend Time to Respond to Complaint and Continue Case Management Conference filed by The 21st Amendment Brewery Cafe, LLC. Case Management Statement due by 8/14/2017. Initial Case Management Conference set for 8/23/2017 at 2:00 PM in Courtroom 9, 19th Floor, San Francisco. Signed by Judge Jon S. Tigar on May 30, 2017. (wsn, COURT STAFF) (Filed on 5/30/2017)
1 WENDEL, ROSEN, BLACK & DEAN LLP
Eugene M. Pak (Bar No. 168699)
2 Jason M. Horst (Bar No. 245370)
1111 Broadway, 24th Floor
3 Oakland, California 94607-4036
Tel: (510) 834-6600
4 Fax: (510) 834-1928
Email: epak@wendel.com / jhorst@wendel.com
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Attorneys for Defendant
6 The 21st Amendment Brewery Café, LLC
1111 Bro adw ay, 24 t h F lo or
BECK & LEE TRIAL LAWYERS
8 Jared H. Beck (CA Bar No. 233743)
Elizabeth Lee Beck (CA Bar No. 233742)
9 Beverly Virues (FL Bar No. 123713)
Corporate Park at Kendall
10 12485 SW 137th Ave., Suite 205
Miami, Florida 33186
11 Tel: 305-234-2060
Fax: 786-664-3334
12 Email: elizabeth@beckandlee.com / jared@beckandlee.com
O akland, Ca lif or ni a 946 07-4 036
Wendel, Rosen, Black & Dean LLP
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13 CULLIN O’BRIEN LAW, P.A.
Cullin O’Brien (FL Bar No. 597341)
14 6541 NE 21st Way
Fort Lauderdale, Florida 33108
15 Tel: 561-676-6370
Fax: 561-320-0285
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Counsel for Plaintiff and Putative Class
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA, SAN FRANCISCO DIVISION
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21 BRENDAN PEACOCK, on Behalf of
Himself, and All Others Similarly Situated,
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Plaintiff,
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vs.
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THE 21ST AMENDMENT BREWERY
25 CAFE, LLC,
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Case No. 3:17-cv-01918-JST
STIPULATION TO EXTEND TIME TO
ANSWER COMPLAINT OR FILE
OTHER RESPONSIVE PLEADING,
CONTINUE CASE MANAGEMENT
CONFERENCE AND [PROPOSED]
ORDER
Defendant.
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018602.0010\4725862.1
STIPULATION RE EXTENSION OF TIME TO
RESPOND TO COMPLAINT, AND CONTINUE
CASE MANAGEMENT CONFERENCE
4:17-cv-01918
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Pursuant to N.D. Cal. Civil Local Rules 6-1 and 6-2, Defendant, The 21st Amendment
2 Brewery Cafe, LLC (“Defendant”) and Plaintiff Brendan Peacock (“Plaintiff”), through their
3 respective counsel, hereby stipulate and agree as follows: Defendant shall answer or otherwise
4 respond to Plaintiff’s Class Action Complaint and Demand for Jury Trial on or before June 30,
5 2017.
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The parties further stipulate and respectfully request that the Case Management
August 23, 2017 at 2 pm
7 Conference scheduled for Monday, July 12, 2017 be re-set to Monday, August 14, 2017, or as
8 soon thereafter as the Court’s schedule allows, with the Joint Case Management Conference
9 Statement due seven Court days (August 7, 2017) prior to the conference. The parties are engaged
10 in settlement discussions and seek time to pursue possible settlement of this case. The initial case
1111 Bro adw ay, 24 t h F lo or
12 to July 12, 2017 when the case was re-assigned to Judge Tigar. The requested continuance would
O akland, Ca lif or ni a 946 07-4 036
Wendel, Rosen, Black & Dean LLP
11 management conference was scheduled for June 29, 2017, but was then re-scheduled by the Court
13 have minimal impact on the schedule for the case which was filed just last month.
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15 DATED: May 26, 2017
WENDEL, ROSEN, BLACK & DEAN LLP
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By:
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/s/ Eugene M. Pak
Eugene M. Pak
Attorneys for Defendant
The 21st Amendment Brewery Café, LLC
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20 DATED: May 26, 2017
BECK & LEE TRIAL LAWYERS
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By:
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/s/ Elizabeth Lee Beck
Elizabeth Lee Beck
Attorneys for Plaintiff and Putative Class
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018602.0010\4725862.1
STIPULATION RE EXTENSION OF TIME TO
RESPOND TO COMPLAINT AND CONTINUE
CASE MANAGEMENT CONFERENCE
1
4:17-cv-01918
1 PURSUANT TO THE STIPULATION, IT IS SO ORDERED:
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, 2017
By:
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ORDER
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5 DATED: May
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1111 Bro adw ay, 24 t h F lo or
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Wendel, Rosen, Black & Dean LLP
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018602.0010\4725862.1
STIPULATION RE EXTENSION OF TIME TO
RESPOND TO COMPLAINT AND CONTINUE
CASE MANAGEMENT CONFERENCE
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4:17-cv-01918
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