Bakhtiar v. Information Resources, Inc.
Filing
111
ORDER GRANTING JOINT STIPULATION TO CONTINUE HEARING ON PLAINTIFF'S MOTION FOR PRELIMINARY APPROVAL OF CLASS ACTION SETTLEMENT AND CERTIFICATION OF SETTLEMENT CLASS, DOCKET #110 by Judge Jon S. Tigar.(mllS, COURT STAFF) (Filed on 7/18/2019)
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BRYAN SCHWARTZ LAW
Bryan Schwartz (SBN 209903)
Samuel Goldsmith (SBN 320471)
180 Grand Avenue, Suite 1380
Oakland, CA 94612
Telephone: (510) 444-9300
Facsimile: (510) 444-9301
Email: bryan@bryanschwartzlaw.com
samuel@bryanschwartzlaw.com
Attorneys for Individual and Representative
Plaintiff and the Putative Class
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JACKSON LEWIS P.C.
Mitchell F. Boomer (SBN 121441)
Fraser A. McAlpine (SBN 248554)
Janelle J. Sahouria (SBN 253699)
50 California Street, Ninth Floor
Tel. (415) 394-9400
Fax (415) 394-9401
Email: boomerm@jacksonlewis.com
fraser.mcalpine@jacksonlewis.com
janelle.sahouria@jacksonlewis.com
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Attorneys for Defendant Information Resources, Inc.
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UNITED STATES DISTRICT COURT
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FOR THE NORTHERN DISTRICT OF CALIFORNIA
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IRAM BAKHTIAR, individually, and on behalf of
all others similarly situated,
Plaintiff,
vs.
INFORMATION RESOURCES, INC., and
DOES 1 through 50, inclusive,
Defendants.
Case No. 3:17-cv-04559-JST
JOINT STIPULATION TO
CONTINUE HEARING ON
PLAINTIFF’S MOTION FOR
PRELIMINARY APPROVAL OF
CLASS ACTION SETTLEMENT AND
CERTIFICATION OF SETTLEMENT
CLASS, DOCKET #110
Hon. Jon S. Tigar
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3:17-cv-04559-JST
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Plaintiff IRAM BAKHTIAR (“Plaintiff”) and Defendant INFORMATION RESOURCES,
INC. (“Defendant”), by and through their respective counsel of record, herein agree and stipulate
as follows:
RECITALS
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Whereas the hearing on Plaintiff’s Motion for Preliminary Approval is currently
scheduled for August 8, 2019 at 2:00 p.m.
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2.
Whereas Plaintiff now has a scheduling conflict on August 8, 2019.
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3.
Whereas Defendant has no objection to holding the hearing on August 22, 2019 at
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2:00 p.m.
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STIPULATION
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Based on recitals above, Plaintiff and Defendant hereby agree and stipulate that the
hearing on Plaintiff’s Motion for Preliminary Approval will take place on August 22, 2019 at 2:00
p.m. or as soon thereafter as the Court can hear the matter.
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IT IS SO STIPULATED:
Dated: July 17, 2019
BRYAN SCHWARTZ LAW
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By:
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/s/ Bryan Schwartz
Bryan Schwartz (SBN 209903)
ATTORNEYS FOR PLAINTIFF
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Dated: July 17, 2019
JACKSON LEWIS P.C.
By:
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Janelle J. Sahouria (SBN 253699)
ATTORNEYS FOR DEFENDANT
Joint Stipulation to
Continue Preliminary Approval
of Class Action Settlement
and Certification of Settlement Class
3:17-cv-04559-JST
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ATTESTATION PURSUANT TO CIVIL LOCAL RULE 5-1(i)(3)
Pursuant to Civil Local Rule 5-1(i)(3), I attest that the concurrence in the filing of the
Joint Stipulation submitted by Plaintiff Iram Bakhtiar has been obtained from the other signatory
therein, Janelle J. Sahouria, attorney for Defendants in this matter.
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/s/ Bryan Schwartz
Bryan Schwartz
Dated: July 17, 2019
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Joint Stipulation to
Continue Preliminary Approval
of Class Action Settlement
and Certification of Settlement Class
3:17-cv-04559-JST
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[proposed] ORDER
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Pursuant to the parties’ Joint Stipulation, it is so ordered that:
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The hearing on Plaintiff’s Motion for Preliminary Approval will take place on August 22,
2019 at 2:00 p.m.
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Dated: July ___, 2019
By:
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_________________________________
The Honorable Jon S. Tigar
Judge of the United States District Court
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-4-
Joint Stipulation to
Continue Preliminary Approval
of Class Action Settlement
and Certification of Settlement Class
3:17-cv-04559-JST
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