Raifman et al v. Wachovia Securities, LLC et al
Filing
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STIPULATION AND ORDER, Set/Reset Deadlines as to 12 MOTION to Dismiss Plaintiffs' Complaint. Replies due by 11/18/2011.. Signed by Judge ARMSTRONG on 11/14/11. (lrc, COURT STAFF) (Filed on 11/15/2011)
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LAW OFFICES OF STEVEN ROOD
Steven Rood (Cal. Bar No. 69332)
E-mail: steve@steverood.com
405 – 14th Street, Ste. 212
Oakland, CA 94612
Telephone: 510-839-0900
Facsimile: 510-839-0230
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ISAACSON &WILSON, P.S.
Mark J. Wilson (Cal. Bar No. 96985)
Email: thmjwilson@isaacsonwilson.com
1200 5 Avenue, Ste. 1900
Seattle, WA 98101
Telephone: 206-448-1011
Facsimile: 206-448-1022
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Attorneys for Plaintiffs
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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GREGORY R. RAIFMAN and SUSAN
RAIFMAN, husband and wife, individually
and on behalf of their marital community
and as Trustees of the RAIFMAN FAMILY
REVOCABLE INTERVIVOS TRUST and
as beneficiaries of the PALLADIAN
TRUST; GEKKO HOLDINGS, LLC, and
HELICON INVESTMENTS, LTD,
Plaintiffs,
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vs.
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WACHOVIA SECURITIES, LLC, N/K/A
WELLS FARGO ADVISORS LLC;
GEORGE GORDON, III, individually; and
ROBERT EDDY, individually,
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Defendants.
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Case No.: No. C 11-02885 SBA
STIPULATION FOR ORDER TO
EXTEND TIME FOR PLAINTIFFS TO
REPLY IN SUPPORT OF PLAINTIFFS’
MOTION FOR LEAVE TO FILE
AMENDED COMPLAINT
(Endorsement for Proposed Order is
included herein)
HEARING ON MOTION TO DISMISS
AND MOTION TO FOR LEAVE TO
FILE AMENDED COMPLAINT :
Date:
Time:
Ctrm:
Judge:
December 6, 2011
1:00 pm
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Hon. Sandra B. Armstrong
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IT IS HEREBY STIPULATED AND AGREED by and between the parties, through their
respective counsel of record, pursuant to Local Rules 6-1(b) and 6-2 that Plaintiffs’ Reply in
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Stipulation for Order to Extend Time for Plaintiffs to Reply in Support of
Motion for Leave to File Amended Complaint
Case No. C 11-02885 SBA
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Support of Plaintiffs' Motion to Filed Amended Complaint, which was originally due on
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November 14,2011, may be extended to November 18,2011.
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Plaintiffs submit the Declaration of Mark 1. Wilson in support of this Stipulation and
4 Proposed Order, pursuant to Local Rule 6-2(a).
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An agreed Proposed Order is attached hereto as Exhibit I.
RONALD E. WOOD
JENNIFER L. ROCHE
PROSKAUER ROSE LLP
~ ee e:rl&c hec;g
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Ronald E. Wood
Attorneys for Defendants
WACHOVIA SECURITIES, LLC and
GEORGE GORDON III
PURSUANT TO STIPULATION, IT IS SO ORDERED.
11/14/11
Dated: ~~~~~~~
Hon. Saundra B. Armstrong
United States District Judge
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Stipulation for Order to Extend Time for Plaintiffs to Reply in Support of
Motion for Leave to File Amended Complamt
Case No. C 11-02885 SBA
PROSKRUER ROSE LLP
Nov 10 2011 22:59
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Support of Plaintiffs' Motion to Filed Amended Complaint, which was originally due on
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P.02
November 14, 2011, may be extended to November 18,2011,
Plaintiffs submit the Declaration of Mark J. Wilson in support of this Stipulation and
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Proposed Order, pursuant to Local Rule 6-2(a).
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An agreed Proposed Order is attached hereto as Exhibit I.
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7 Dated: November __,2011
MARK J. WILSON
ISAACSON & WILSON, P,S.
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MarkJ. Wilson
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Attorneys for Plaintiffs
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Dated: November lL-, 2011
RONALD E, WOOD
JENNIFER L. ROCHE
PROSKAUER ROSE LLIL.-.,
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&drJ£
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Attorneys for Defendants
WACHOVIA SECURITIES, LLC and
GEORGE GORDON III
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
Dated:
_
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Hon. Saundra B, Armstrong
United States District Judge
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Stipulation for Order to Extend Time for Plaintiffs to Reply in Support of
Motion for Leave to File Amended Complamt
Case No. C 11·02885 SBA
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