Enea v. Mercedes-Benz USA, LLC
Filing
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ORDER by Judge Haywood S. Gilliam, Jr. GRANTING 8 STIPULATION TO EXTEND TIME TO RESPOND TO COMPLAINT BY NOT MORE THAN 30 DAYS AND SETTING BRIEFING SCHEDULE FOR MOTION TO DISMISS. Motions due by 6/10/2018; Replies due by 7/24/2018 and Responses due by 7/10/2018. (ndrS, COURT STAFF) (Filed on 5/16/2018)
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Squire Patton Boggs (US) LLP
Troy M. Yoshino (SBN: 197850)
troy.yoshino@squirepb.com
Eric J. Knapp (SBN: 214352)
eric.knapp@squirepb.com
275 Battery Street, Suite 2600
San Francisco, California 94111
Telephone:
+1 415 954 0200
Facsimile:
+1 415 393 9887
Attorneys for Defendant
Mercedes-Benz USA, LLC
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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OAKLAND DIVISION
275 Battery Street, Suite 2600
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San Francisco, California 94111
SQUIRE PATTON BOGGS (US) LLP
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Giorgio Enea, an individual, on behalf of
himself and all others similarly situated,
Case No. 4:18-cv-02792-HSG
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STIPULATION TO EXTEND TIME TO
RESPOND TO COMPLAINT BY NOT MORE
THAN 30 DAYS AND [PROPOSED] ORDER
SETTING BRIEFING SCHEDULE FOR
MOTION TO DISMISS
Plaintiffs,
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v.
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Mercedes-Benz USA, LLC, and Daimler AG,
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Defendants.
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STIPULATION
WHEREAS, pursuant to Local Rule 6-1(a), Plaintiff and Defendant Mercedes-Benz USA,
LLC (“MBUSA”), hereby stipulate to extend the time to respond to Plaintiff’s complaint by 30
days to June 10, 2018;
WHEREAS, pursuant to Local Rule 7-3, Plaintiff’s deadline to file an opposition to
MBUSA’s anticipated motion to dismiss would be June 25, 2018;
WHEREAS, pursuant to Local Rule 7-3, MBUSA’s deadline to file a reply in support of
its anticipated motion to dismiss would be due July 2, 2018;
WHEREAS, the parties believe MBUSA’s anticipated motion to dismiss presents
complicated issues of law and warrants longer time for briefing;
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STIPULATION TO EXTEND TIME TO
RESPOND TO COMPLAINT BY NOT
MORE THAN 30 DAYS 4:18-CV-02792-HSG
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WHER
REAS, pursu to Local Rule 5-1, th filer of th document attests that concurrence
uant
l
he
his
t
t
e
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in the filing of the docume has been obtained fro each of t other Sig
f
ent
om
the
gnatories, wh shall
hich
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serve in lieu of their signa
atures on the document;
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NOW, THEREFORE, IT IS HEREBY ST IPULATED AND AGR
H
D
REED AS FO
OLLOWS:
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(1) Pursuant to Local Rule 6-1(a), MB
o
e
BUSA’s dead
dline to resp
pond to Plain
ntiff’s compl
laint is
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ex
xtended by 30 days to Jun 10, 2018; (2) Plaintif deadline to oppose a motion to dismiss is
ne
;
ff’s
any
o
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ex
xtended to Ju 10, 2018; and (3) MB
uly
;
BUSA’s dead
dline to file a reply in su
upport of any motion to
y
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dismiss is exte
ended to July 24, 2018.
y
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Da
ated: May 15, 2018
Squire Patto Boggs (U LLP
on
US)
275 Battery Street, Suite 2600
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San Francisco, California 94111
SQUIRE PATTON BOGGS (US) LLP
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By: /s/ Eric J. Knapp
c
Eric J. Knapp
c
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Attorneys f Defendan
for
nt
Mercedes-B
Benz USA, L
LLC
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Da
ated: May 15, 2018
Haffner Law PC
w
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By: /s/ Gra
aham G. Lam
mbert
Graham G. Lamber
m
rt
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Attorneys f Plaintiff
for
Giorgio Ene
ea
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DER
ORD
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UANT TO STIPULATION, IT IS S ORDERE
S
SO
ED: (1) Plai
intiff’s deadl to
line
PURSU
ppose any mo
otion to dism is exten
miss
nded to July 10, 2018; an (2) MBUS
nd
SA’s deadlin to file a
ne
op
rep in suppo of any mo
ply
ort
otion to dism is extend to July 2 2018.
miss
ded
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Da
ated: May 16, 2018
H
Haywood S. G
Gilliam, Jr.
U District C
U.S.
Court Judge
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-2-
STIPULATION TO EXTE
END TIME TO
O
RESPOND TO COMPLA
D
AINT BY NOT
T
MO
ORE THAN 30 DAYS 4:18-C
CV-02792-HSG
G
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