Just Goods, Inc. v. Just, Inc. et al

Filing 195

ORDER granting 194 Stipulation to Extend Deadlines re: 188 MOTION for Sanctions. Responses due by 5/25/2023. Replies due by 6/8/2023. Motion Hearing reset for 6/21/2023 02:00 PM via Videoconference before Judge William H. Orrick. Signed by Judge William H. Orrick on 05/11/2023. (jmd, COURT STAFF) (Filed on 5/11/2023)

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1 2 3 4 5 6 7 8 CONSTANCE J. YU (SBN 182704) E-mail: cyu@plylaw.com PHILIP J. WANG (SBN 218349) E-mail: pwang@plylaw.com TRACI M. KEITH (SBN 235828) E-mail: tkeith@plylaw.com PUTTERMAN | YU | WANG LLP 345 California Street, Suite 1160 San Francisco CA 94104-2626 Tel: (415) 839-8779 Fax: (415) 737-1363 Attorneys for Defendants and Counterclaimants EAT JUST, INC. and JOSHUA TETRICK 9 10 UNITED STATES DISTRICT COURT 11 FOR THE NORTHERN DISTRICT OF CALIFORNIA 12 SAN FRANCISCO DIVISION 13 14 JUST GOODS, INC., a Delaware corporation, Plaintiff, 15 16 17 18 v. JUST, INC., F/K/A/ HAMPTON CREEK, INC., a Delaware corporation, et al., Defendants. Case No. 18-cv-02198-WHO STIPULATION TO FURTHER EXTEND DEADLINE FOR DEFENDANTS TO RESPOND TO PLAINTIFF’S MOTION TO ENFORCE DEFENDANTS’ COMPLIANCE WITH THE BINDING TERM SHEET AND FOR AN ORDER TO SHOW CAUSE RE: CONTEMPT AND SANCTIONS [DKT. 188] 19 20 21 AND COUNTERCLAIMS. The Honorable Hon. William H. Orrick Current Hearing Date: June 14, 2023 Hearing Time: 2 p.m. 22 23 24 25 26 27 28 CASE NO. 18-CV-02198-WHO STIPULATION TO FURTHER EXTEND DEADLINE FOR DEFENDANTS TO RESPOND TO MOTION 1 WHEREAS, pursuant to Local Rules 6-2 and 7-12, Plaintiff and Counter-Defendant JUST 2 GOODS, INC. (“Plaintiff”), on the one hand, and Defendants and Counterclaimants EAT JUST, INC. 3 and JOSHUA TETRICK (collectively, “Defendants”), on the other hand, agree to further modify and 4 extend the parties’ deadlines to respond to a certain motion. 5 WHEREAS, on April 12, 2023, Plaintiff filed its Motion to Enforce Defendants’ Compliance 6 with the Binding Term Sheet and for an Order to Show Cause Re: Contempt and Sanctions 7 (Dkt. 186) (the “Motion”) and set hearing on the Motion for June 7, 2023; 8 9 10 11 12 13 14 WHEREAS, on April 13, 2023, Plaintiff, based on instructions from the Court clerk, refiled the Motion (Dkt. 188) to correct certain typographical errors; WHEREAS, Dkt. 188 is meant to replace Dkt. 186, and the Parties previously stipulated that Defendants need not respond to Dkt. 186. WHEREAS, the initial deadline for Defendants to respond to the Motion was April 27, 2023, and the initial reply deadline for Plaintiff is May 4, 2023; WHEREAS, due to the unavailability of counsel to prepare their respective briefs according 15 to the currently scheduled deadlines, the parties previously stipulated, and the Court entered an Order, 16 to extend Defendants’ deadline to respond to the Motion to June 11, 2023 and Plaintiff’s deadline to 17 reply to June 25, 2023; 18 19 20 21 22 23 WHEREAS, the Court’s Order also continued the hearing on the Motion from June 7, 2023 to June 14, 2023 (Dkt. 193); WHEREAS, counsel for Defendants primarily responsible for responding to the Motion has suffered a sudden death in the family and needs to take care of funeral and burial arrangements; THEREFORE, the parties have agreed to allow Defendants additional time to respond to the Motion and stipulate to the following briefing schedule pertaining to the Motion (Dkt. 188): 24 25 Event Current Deadline New Deadline Defendants’ Response 5/11/2023 5/25/2023 26 27 28 2 CASE NO. 18-CV-02198-WHO WHO STIPULATION TO FURTHER EXTEND DEADLINE FOR DEFENDANTS TO RESPOND TO MOTION 1 Event Current Deadline New Deadline 2 Plaintiff’s Reply 5/25/2023 6/8/2023 Hearing 6/14/2023 6/21/2023 3 4 5 6 7 Plaintiff and Defendants hereby request that the Court grant this stipulation extending the deadlines as set forth above: IT IS SO STIPULATED. DATED: May 11, 2023 SHEPPARD MULLIN RICHTER & HAMPTON LLP 8 By: /s/ Paul Bost Paul Bost Attorneys Plaintiff and Counter-Defendant JUST GOODS, INC. 9 10 11 DATED: May 11, 2023 PUTTERMAN | YU | WANG LLP 12 By: /s/ Philip J. Wang Philip J. Wang Attorneys for Defendants and Counterclaimants JUST, INC. and JOSHUA TETRICK 13 14 15 16 17 ATTESTATION I, Philip J. Wang, am the ECF user whose ID and password are being used to file this 18 STIPULATION TO FURTHER EXTEND DEADLINE FOR DEFENDANTS TO RESPOND TO 19 PLAINTIFF’S MOTION TO ENFORCE DEFENDANTS’ COMPLIANCE WITH THE 20 BINDING TERM SHEET AND FOR AN ORDER TO SHOW CAUSE AND MOTION FOR 21 SANCTIONS [DKT. 188] and hereby attest that all of the signatories have concurred in the filing of 22 this document. 23 24 DATED: May 11, 2023 PUTTERMAN | YU | WANG LLP 25 26 27 By: /s/ Philip J. Wang Philip J. Wang Attorneys for Defendants and Counterclaimants JUST, INC. and JOSHUA TETRICK 28 3 CASE NO. 18-CV-02198-WHO WHO STIPULATION TO FURTHER EXTEND DEADLINE FOR DEFENDANTS TO RESPOND TO MOTION 1 PURSUANT TO STIPULATION, IT IS SO ORDERED. 2 3 Dated: May 11, 2023 _________________________________ HON. WILLIAM H. ORRICK United States Judge 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 4 CASE NO. 18-CV-02198-WHO WHO STIPULATION TO FURTHER EXTEND DEADLINE FOR DEFENDANTS TO RESPOND TO MOTION

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