Keller et al v. Amazon.com, Inc. et al
Filing
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STIPULATION AND ORDER RE 21 Amending Deadline for Defendants' Reply Briefs. Signed by Judge Richard Seeborg on 6/20/17. (cl, COURT STAFF) (Filed on 6/20/2017)
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MORGAN, LEWIS & BOCKIUS LLP
John S. Battenfeld, Bar No. 119513
300 South Grand Avenue
Twenty-Second Floor
Los Angeles, CA 90071-3132
Tel: +1.213.612.2500
Fax: +1.213.612.2501
john.battenfeld@morganlewis.com
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MORGAN, LEWIS & BOCKIUS LLP
Christopher J. Banks, Bar No. 218779
Theresa Mak, Bar No. 211435
One Market, Spear Street Tower
San Francisco, CA 94105-1596
Tel: +1.415.442.1000
Fax: +1.415.442.1001
christopher.banks@morganlewis.com
theresa.mak@morganlewis.com
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Attorneys for Defendants
AMAZON.COM, INC. and AMAZON
LOGISTICS, INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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KIMBERLEE KELLER and TOMMY
GARADIS, Individually and On Behalf of All
Others Similarly Situated,
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Case No. C17-cv-02219 RS
STIPULATION REQUESTING
AMENDED DEADLINE FOR
DEFENDANTS’ REPLY BRIEFS AND
PROPOSED ORDER
Plaintiffs,
vs.
Courtroom: 3
AMAZON.COM, INC.; AMAZON
LOGISTICS, INC.; and DOES 1 through 100,
inclusive,
Judge: Hon. Richard G. Seeborg
Trial Date: None Set
Defendants.
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This Stipulation is entered into by and among Plaintiffs Kimberlee Keller and Tommy
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Garadis, who are putative class representatives in Keller, et al. v. Amazon.Com, et al., No. C17-
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cv-02219 RS, N.D. Cal., and Defendants Amazon.com, Inc. and Amazon Logistics, Inc.
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(collectively, “Amazon”), by and through their respective counsel.
Case No. C17-cv-02219 RS
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STIPULATION REQUESTING AMENDED
DEADLINE FOR DEFENDANTS’ REPLY
BRIEFS AND PROPOSED ORDER
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WHEREAS, the parties previously stipulated to, and the Court granted, an extension of
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time for Plaintiffs to respond to Defendants’ Motion to Dismiss, Stay, or Transfer Venue and
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Motion to Compel Individual Arbitration (collectively, “the Motions”) (Dkt # 20);
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WHEREAS, the parties previously stipulated that Plaintiffs’ deadline to oppose the
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Motions would be extended to June 15, 2017 and that Defendants’ deadline for reply would be
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extended to June 29, 2017 (Dkt # 19);
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WHEREAS, due to an error in the Proposed Order, the deadline for Defendants’ reply was
listed as June 22, 2017;
WHEREAS, Civil Local Rule 6-2 permits the parties to stipulate to extended time for
complex motions;
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NOW, THEREFORE, the parties hereby agree and stipulate to the following:
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1.
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The deadline for Defendants’ corresponding replies in support of said Motions is
extended to June 29, 2017.
IT IS SO STIPULATED.
Dated: June 14, 2017
MORGAN, LEWIS & BOCKIUS LLP
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By
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Dated: June 14, 2017
/s/ Theresa Mak
John S. Battenfeld
Christopher J. Banks
Theresa Mak
Attorneys for Defendants
AMAZON.COM, INC. and AMAZON
LOGISTICS, INC.
THE ARNS LAW FIRM
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By
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/s/ Shounak S. Dharap
Robert S. Arns
Jonathan E. Davis
Kevin M. Osborne
Julie C. Erickson
Shounak S. Dharap
Attorneys For Plaintiffs
KIMBERLEE KELLER AND TOMMY
GARADIS,
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Case No. C17-cv-02219 RS
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STIPULATION REQUESTING AMENDED
DEADLINE FOR DEFENDANTS’ REPLY
BRIEFS AND PROPOSED ORDER
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ATTESTATION
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I, Theresa Mak, attest pursuant Northern District Local Rule 5-1(i)(3) that all other
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signatories to this document, on whose behalf this filing is submitted, concur in the filing’s
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content and have authorized this filing.
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I declare under penalty of perjury under the laws of the United State of America that the
foregoing is true and correct.
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/s/ Theresa Mak____________________
Theresa Mak
Attorney for Defendants
AMAZON.COM, INC. and AMAZON
LOGISTICS, INC.
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Case No. C17-cv-02219 RS
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STIPULATION REQUESTING AMENDED
DEADLINE FOR DEFENDANTS’ REPLY
BRIEFS AND PROPOSED ORDER
PROPOSED ORDER
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PURSUANT TO STIPULATION:
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1.
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Defendants shall file their replies in support of Defendants’ Motion to Dismiss,
Stay, or Vacate and Motion to Compel Individual Arbitration on or before June 29, 2017.
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IT IS SO ORDERED.
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Dated: June ____, 2017
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____________________________
HON. RICHARD SEEBORG
UNITED STATES DISTRICT JUDGE
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Case No. C17-cv-02219 RS
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STIPULATION REQUESTING AMENDED
DEADLINE FOR DEFENDANTS’ REPLY
BRIEFS AND PROPOSED ORDER
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