LTTB LLC v. Redbubble, Inc.
Filing
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STIPULATION AND ORDER RE 56 Re Briefing and Hearing Schedule on Redbubble's Motion for Attorney's Fees. Signed by Judge Richard Seeborg on 7/26/19. (cl, COURT STAFF) (Filed on 7/26/2019)
1 JOSHUA M. MASUR (SBN 203510)
jmasur@zuberlaw.com
2 ZUBER LAWLER & DEL DUCA LLP
2000 Broadway Street, Suite 154
3 Redwood City, California 94063
Telephone: (650) 434-8538
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KENNETH B. WILSON (SBN 130009)
ken@coastsidelegal.com
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COASTSIDE LEGAL
6 455 1st Avenue
Half Moon Bay, California 94019
7 Telephone: (650) 440-4211
8 Attorneys for Defendant REDBUBBLE INC.
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JEFFREY E. FAUCETTE (SBN 193066)
jeff@skaggsfaucette.com
SKAGGS FAUCETTE LLP
11 One Embarcadero Center, Suite 500
San Francisco, California 94111
12 Telephone: (415) 315-1669
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13 Attorneys for Plaintiff LTTB LLC
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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19 LTTB LLC,
Plaintiff,
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Case No. 3:18-CV-00509-RS
v.
STIPULATION AND ORDER RE
BRIEFING AND HEARING
SCHEDULE ON REDBUBBLE’S
MOTION FOR ATTORNEY’S FEES
22 REDBUBBLE INC.,
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Defendant.
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2911-1002 / 1478918.1
Case No. 3:18-CV-00509-RS
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STIP. AND [PROPOSED] ORDER RE ATTYS FEES MOT. SCHEDULE
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Pursuant to N.D. Cal. Civ. L.R. 6-2, Plaintiff LTTB LLC (“LTTB”) and Defendant
2 Redbubble Inc. (“Redbubble”), through their respective counsel of record, stipulate as follows:
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WHEREAS, the Court issued its Order Denying Plaintiff’s Motion for Summary
4 Judgment and Granting Defendant’s Motion for Summary Judgment (Dkt. 53) on July 12, 2019
5 and entered Judgment that same date (Dkt. 54); and
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WHEREAS, pursuant to Fed. R. Civ. P. 54(d)(2)(B) and N.D. Cal. Civ. L.R. 54-5(a),
7 prevailing party Redbubble’s Motion for Attorney’s Fees (“Motion”) must be served and filed
8 within 14 days of entry of judgment by the District Court, on or before July 26, 2019; and
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WHEREAS, pursuant to N.D. Cal. L.R. 6-2(a)(1), due to calendar conflicts and periods
10 of unavailability of counsel for each of the parties and of the Court, counsel have met and
11 conferred and proposed alternative deadlines for the filing of Redbubble’s Motion, LTTB’s
12 Opposition, and Redbubble’s Reply, contemplating a hearing date that is convenient for both
13 parties and available on this Court’s schedule.
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THEREFORE, pursuant to N.D. Cal. Civ. L.R. 6-2, the parties respectfully request
15 that the Court adopt the following schedule for briefing and hearing Redbubble’s Motion:
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Deadline
Event
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August 16, 2019
Defendant Redbubble to file its motion for attorney’s fees
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September 10, 2019
Plaintiff LTTB to file its opposition to Redbubble’s motion for
attorney’s fees
September 26, 2019
Defendant Redbubble to file its reply in support of its motion
for attorney’s fees
October 10, 2019
Hearing on Redbubble’s motion for attorney’s fees
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Pursuant to N.D. Cal. L.R. 6-2(a)(2), the parties represent that there has been only one
24 previous time modification in the case, specifically with respect to the dispositive motions, on
25 April 26, 2019 (Dkt. 35) and pursuant to N.D. Cal. L.R. 6-2(a)(3), the parties represent that, other
26 than the dates specifically outlined above, they believe that the proposed time modifications will
27 have no effect on the schedule for the case.
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2911-1002 / 1478918.1
Case No. 3:18-CV-00509-RS
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STIP. AND [PROPOSED] ORDER RE ATTYS FEES MOT. SCHEDULE
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Respectfully submitted,
2 Dated: July 23, 2019
ZUBER LAWLER & DEL DUCA LLP
JOSHUA M. MASUR
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By:
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/s/ Joshua M. Masur
Attorneys for Defendant REDBUBBLE INC.
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7 Dated: July 23, 2019
SKAGGS FAUCETTE LLP
JEFFREY E. FAUCETTE
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By:
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/s/ Jeffrey E. Faucette
Attorneys for Plaintiff LTTB LLC
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12 PURSUANT TO STIPULATION, IT IS SO ORDERED.
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Dated: _______________, 2019
July 26
By:
United States District Court Judge
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Case No. 3:18-CV-00509-RS
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STIP. AND [PROPOSED] ORDER RE ATTYS FEES MOT. SCHEDULE
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ATTESTATION PURSUANT TO LR 5-1(i)(3)
I, Joshua M. Masur, am the ECF User whose identification and password are being used to
3 file this STIPULATION AND [PROPOSED] ORDER RE BRIEFING AND HEARING
4 SCHEDULE ON REDBUBBLE’S MOTION FOR ATTORNEY’S FEES. I hereby attest that
5 concurrence in the filing of this document has been obtained from the other Signatory.
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Dated: July 23, 2019
By:
/s/ Joshua M. Masur
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Case No. 3:18-CV-00509-RS
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STIP. AND [PROPOSED] ORDER RE ATTYS FEES MOT. SCHEDULE
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