Francisca Moralez v. 2600 Broadway Associates, LLC et al
Filing
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STIPULATION AND ORDER TO EXTEND DATE re 14 Stipulation, filed by 2600 Broadway Associates, LLC, Peet's Operating Company, Inc., Francisca Moralez. Signed by Judge Yvonne Gonzalez Rogers on 8/14/17. (fs, COURT STAFF) (Filed on 8/14/2017)
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Attorney for Defendants Peet’s Operating Company,
Inc. and 2600 Broadway Associates, LLC
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Hunton & Williams LLP
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Attorneys for Plaintiff Francisca Moralez
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575 Market Street, Suite 3700
San Francisco, California 94105
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ZACHARY M. BEST (SBN 166035)
MISSION LAW FIRM, A.P.C.
332 North Second Street
San Jose, California 95112
Telephone: (408) 298-2000
Facsimile: (408) 298-6046
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HUNTON & WILLIAMS LLP
M. BRETT BURNS (SBN 256965)
mbrettburns@hunton.com
575 Market Street, Suite 3700
San Francisco, California 94105
Telephone: 415.975.3725
Facsimile: 415.975.3701
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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FRANCISCA MORALEZ,
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Plaintiff,
v.
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2600 BROADWAY ASSOCIATES, LLC;
PEET’S OPERATING COMPANY, INC. dba
PEET’S COFFEE & TEA;
CASE NO.: 4:17-CV-03124
STIPULATION TO EXTEND DATE FOR
DEFENDANT 2600 BROADWAY
ASSOCIATES, LLC TO ANSWER
PLAINTIFF’S COMPLAINT
Complaint Filed: May 31, 2017
Defendants.
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STIPULATION TO EXTEND DATES TO ANSWER PLAINTIFF’S COMPLAINT
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Hunton & Williams LLP
575 Market Street, Suite 3700
San Francisco, California 94105
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Plaintiff Francisca Moralez (“Plaintiff”) and Defendants Peet’s Operating Company, Inc. and
2600 Broadway Associates, LLC (“Defendants,” and together with Plaintiff, “the Parties”) stipulate
as follows:
1.
On May 31, 2017, Plaintiff filed her Complaint in the above-styled case (the
“Action”). Peet’s Operating Company, Inc. executed a waiver of service and its answer date is
August 7, 2017. Plaintiff served the Complaint on 2600 Broadway Associates, LLC on June 8, 2017
and following a previous stipulation to extend that deadline, its deadline to answer is likewise
August 7, 2017.
2.
Counsel for Defendants recently had a consultant inspect the store that is the subject
of this lawsuit and is expecting to receive the consultant’s report shortly. The parties are currently in
the process of settlement discussions, and would like to minimize fees and expenses in the Action
while they focus efforts on advancing settlement discussions in the case. Plaintiff and Defendants
conferred and agreed to file a stipulation to extend the answer date to continue, and ideally finalize,
their ongoing settlement discussions.
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Plaintiff and Defendants stipulate that Defendants may have until and including
August 31, 2017 to answer Plaintiff’s Complaint.
4.
This extension will not alter any date or event set by Court order, including the dates
in the Scheduling Order issued pursuant to General Order 56.
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Dated: August 10, 2017
Dated: August 10, 2017
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MISSION LAW FIRM, AP.C.
HUNTON & WILLIAMS LLP
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By: /s/ Zachary M. Best_______________
Zachary M. Best
By: /s/ M. Brett Burns________________
M. Brett Burns
Attorneys for Plaintiff Francisca Moralez
Attorney for Defendants Peet’s Operating
Company, Inc. and 2600 Broadway Associates
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STIPULATION TO EXTEND DATES TO ANSWER PLAINTIFF’S COMPLAINT
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