Google Inc. v. SEVEN Networks, LLC
Filing
42
ORDER FOR EXTENSION OF TIME TO RESPOND TO 34 MOTION TO DISMISS granting 37 STIPULATION. Response due by 11/1/2017. Reply due by 11/8/2017. Signed by Judge William H. Orrick on 10/30/2017. (jmdS, COURT STAFF) (Filed on 10/30/2017)
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
SAN FRANCISCO DIVISION
GOOGLE LLC,
CASE NO. 3:17-cv-04600-WHO
STIPULATION AND
ORDER FOR AN EXTENSION OF TIME
TO RESPOND TO SEVEN’S MOTION TO
DISMISS UNDER FED. R. CIV. P. 12(B)(2)
OR, IN THE ALTERNATIVE, FIRST TO
FILE RULE
Plaintiff,
vs.
SEVEN NETWORKS, LLC,
Defendant.
No. 3:17-cv-04600-WHO
STIPULATION AND ORDER FOR AN EXTENSION OF TIME
TO RESPOND TO SEVEN’S MOTION TO DISMISS
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Pursuant to Civil Local Rules 6-2, Plaintiff Google LLC and Defendant SEVEN Networks,
2 LLC (collectively, the “Parties”), by and through their respective counsel of record, hereby
3 stipulate as follows:
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WHEREAS SEVEN Networks, LLC filed its Motion to Dismiss Under Fed. R. Civ. P.
5 12(b)(2) or, in the Alternative, First to File Rule (Dkt. No. 34) on October 11, 2017;
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WHEREAS good cause exists for this extension so that Google may have sufficient time
7 to investigate and gather evidence for its response to SEVEN’s motion to dismiss;
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WHEREAS the Parties agree that Google may have a two-week extension to file its
9 response to SEVEN’s motion to dismiss by November 8, 2017 and that SEVEN may file its reply
10 by November 15, 2017 accordingly;
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WHEREAS this Stipulation is accompanied by the attached Declaration of Sean Pak in
12 Support of Google LLC’s Stipulation and [Proposed] Order for an Extension of Time to Respond
13 to SEVEN’s Motion to Dismiss Under Fed. R. Civ. P. 12(b)(2) or, in the Alternative, the First to
14 File Rule.
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NOW, THEREFORE, IT IS HEREBY STIPULATED by and between the Parties,
16 through their respective counsel and subject to the Court’s approval, that: Google LLC shall now
17 have until November 8, 2017 to file its response to SEVEN’s motion to dismiss and SEVEN
18 Networks, LLC shall have until November 15, 2017 to file its reply. To the extent the Court finds
19 that this schedule does not provide sufficient time between the close of briefing and the noticed
20 hearing date of November 22, 2017, the parties alternatively request that Google have until
21 November 1, 2017 to file its response to SEVEN’s motion to dismiss and SEVEN have until
22 November 8, 2017 to file its reply.
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IT IS SO STIPULATED.
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No. 3:17-cv-04600-WHO
STIPULATION AND ORDER FOR AN EXTENSION OF TIME
TO RESPOND TO SEVEN’S MOTION TO DISMISS
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DATED: October 23, 2017
QUINN EMANUEL URQUHART & SULLIVAN,
LLP
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By /s/ Sean S. Pak
Sean S. Pak
Attorney for Google LLC
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DATED: October 23, 2017
THOMPSON & KNIGHT LLP
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By /s/ Max Ciccarelli (w/ permission)
Max Ciccarelli
Attorney for SEVEN Networks, LLC
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PURSUANT TO STIPULATION AND GOOD CAUSE APPEARING, IT IS
12 HEREBY ORDERED that Google LLC shall have until November 1, 2017
13 to file its response to SEVEN’s motion to dismiss and SEVEN Networks, LLC shall have
14 until November 8, 2017 to file its reply accordingly.
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18 DATED: ________________, 2017
October 30,
U.S.D.J. William H. Orrick
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No. 3:17-cv-04600-WHO
STIPULATION AND ORDER FOR AN EXTENSION OF TIME
TO RESPOND TO SEVEN’S MOTION TO DISMISS
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