Tryfonas v. Splunk Inc

Filing 43

ORDER by Judge Haywood S. Gilliam, Jr. Granting 42 Stipulation To Extend Current Case Deadlines. Close of Fact Discovery due by 2/1/2018; Designation of Experts due by 2/15/2018; Close of Expert Discovery due by 3/19/2018; Motion Hearing s et for 5/10/2018 02:00 PM before Judge Haywood S Gilliam Jr.; Final Pretrial Conference set for 8/7/2018 03:00 PM.; Jury Selection / Jury Trial (4-day)set for 8/20/2018 08:30 AM before Judge Haywood S Gilliam Jr.. (ndrS, COURT STAFF) (Filed on 10/13/2017)

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1 2 3 4 Rory C. Quintana (SBN 258747) QUINTANA HANAFI, LLP 870 Market St., Ste. 1115 San Francisco, CA 94102 Tel. 415-504-3121 Fax 415-233-8770 rory@qhplaw.com 8 Andrew Dimitirou (SBN 187733) DIMITRIOU & ASSOCIATES, PC 351 California St., Ste. 300 San Francisco, CA 94104 Tel. 415-434-1144 Fax 415-434-1155 andrew@dimitrioulaw.com 9 Attorneys for Plaintiff Christos Tryfonas 5 6 7 10 15 Lynne Hermle (SBN 99779) Shannon Seekao (SBN 267536) ORRICK HERRINGTON & SUTCLIFFE, LLP 1000 Marsh Road Menlo Park, CA 94025 Tel. 650-614-7422 Fax. 650-614-7401 lchermle@orrick.com sseekao@orrick.com 16 Attorneys for Defendant Splunk, Inc. 11 12 13 14 17 UNITED STATES DISTRICT COURT 18 NORTHERN DISTRICT OF CALIFORNIA 19 20 21 CHRISTOS TRYFONAS, an individual, Case No. 4:17-cv-01420-HSG STIPULATION TO EXTEND DEADLINES AND ORDER FOR: DISCOVERY CUT-OFF, EXPERT DISCLOSURES, EXPERT DISCOVERY, DISPOSITIVE MOTIONS, PRE-TRIAL CONFERENCE AND TRIAL DATE Plaintiff, 22 23 24 v. SPLUNK, INC., a Delaware corporation; and DOES 1 through 10, inclusive, 25 26 27 28 -1- Tryfonas v. Splunk Inc. CAND Case No.4:17-cv-01420-HSG Stipulation to Extend Deadlines and Order For: Discovery Cut-Off, Expert Disclosures, Expert Discovery, Dispositive Motions, Pre-Trial Conference and Trial. 1 WHEREAS Defendant Splunk, Inc. (herein “Defendant”) filed a Motion to Dismiss 2 Plaintiff Christos Tryfonas’ (herein “Plaintiff”) Complaint in its entirety on June 7, 2017, to be 3 heard on August 24, 2017. 4 WHEREAS, on August 23, 2017, the Court took the Motion to Dismiss under 5 submission, vacating the August 24, 2017 hearing, and stating that a written order would be 6 provided. 7 8 WHEREAS, to date, the Court has not issued a written order as to Defendant’s Motion to Dismiss. 9 10 WHEREAS, the Parties have not yet begun discovery while awaiting the Court’s decision on the Motion to Dismiss. 11 12 WHEREAS, the Parties have discussed but delayed Alternative Dispute Resolution while awaiting the Court’s decision on the Motion to Dismiss. 13 WHEREAS on October 5, 2017, the Parties agreed to extend deadlines as follows: (1) 14 Discovery Cut-Off, currently scheduled for December 1, 2017 to February 1, 2018; (2) Expert 15 Disclosures, currently scheduled for December 15, 2017 to February 15, 2018; (3) Expert 16 Discovery Cut-Off, currently scheduled for January 19, 2018 to March 19, 2018; (4) Last Date to 17 Hear Dispositive Motions, currently scheduled for March 8, 2018 at 2:00 p.m. to May 10, 2018 18 at 2:00 p.m.; (5) the Pre-Trial Conference, currently scheduled for June 5, 2018 at 3:00 p.m. to 19 August 7, 2018 at 3:00 p.m.; and, (6) Trial, currently scheduled for June 18, 2018 at 8:30 a.m. to 20 August 20, 2018 at 8:30 a.m. 21 22 WHEREAS The parties respectfully request the Court enter an order that current deadlines listed above be extended as agreed to by the parties. 23 THEREFORE, IT IS HEREBY STIPULATED by and between Plaintiff and Defendants 24 through their designated counsel that the above scheduling changes be granted and entered by the 25 Court. 26 IT IS SO STIPULATED. 27 28 -2Tryfonas v. Splunk Inc. CAND Case No.4:17-cv-01420-HSG Stipulation to Extend Deadlines and Order For: Discovery Cut-Off, Expert Disclosures, Expert Discovery, Dispositive Motions, Pre-Trial Conference and Trial. 1 2 Dated: October 11, 2017 QUINTANA HANAFI, LLP 3 4 By: __/s/Rory C. Quintana_____________ Rory C. Quintana Attorney for Plaintiff Christos Tryfonas 5 6 7 Dated: October 11, 2017 ORRICK HERRINGTON & SUTCLIFFE 8 By: __/s/Lynne Hermle_____________ Lynne Hermle Attorney for Defendant Splunk, Inc. 9 10 11 12 13 14 Filer’s Attestation: I attest under penalty of perjury that concurrence in the filing of the document has been obtained from its signatory. By: __/s/Rory C. Quintana_____________ Rory C. Quintana 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -3- Tryfonas v. Splunk Inc. CAND Case No.4:17-cv-01420-HSG Stipulation to Extend Deadlines and Order For: Discovery Cut-Off, Expert Disclosures, Expert Discovery, Dispositive Motions, Pre-Trial Conference and Trial. 1 2 The Court having considered the stipulation of the parties, and good cause appearing therefore, orders as follows: 3 1. The proposed deadlines as described above shall be granted. 4 IT IS SO ORDERED 5 6 7 Dated: October 13, 2017 ________________________________________ UNITED STATES DISTRICT COURT JUDGE NORTHERN DISTRICT OF CALIFORNIA 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 -4Tryfonas v. Splunk Inc. CAND Case No.4:17-cv-01420-HSG Stipulation to Extend Deadlines and Order For: Discovery Cut-Off, Expert Disclosures, Expert Discovery, Dispositive Motions, Pre-Trial Conference and Trial.

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