Embry v. ACER America Corporation
Filing
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STIPULATION AND ORDER AS MODIFIED BY THE COURT to Continue Class Certification Scheduling Deadlines re 38 Stipulation. Close of Class Discovery due by 3/5/2010. Deadline to file Motion due by 3/22/2010. Opposition due 4/5/2010. Reply due 4/9/2010. Motion Hearing set for 4/26/2010 09:00 AM in Courtroom 8, 4th Floor, San Jose. Signed by Judge James Ware on 12/8/2009. (ecg, COURT STAFF) (Filed on 12/8/2009)
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GUTRIDE SAFIER LLP ADAM J. GUTRIDE (State Bar No. 181446) adam@gutridesafier.com SETH A. SAFIER (State Bar No. 197427) 835 Douglass Street seth@gutridesafier.com L. JAY KUO (State Bar No. 173293) jay@gutridesafier.com San Francisco, California 94114 Telephone: (415) 336-6545 Facsimile: (415) 449-6469 Attorneys for Plaintiff QUINN EMANUEL URQUHART OLIVER & HEDGES, LLP Jeffery D. McFarland (Bar No. 157628) jeffmcfarland@quinnemanuel.com S DISTRICT Stan Karas (Bar No. 222402) TE C TA stankaras@quinnemanuel.com A.J. Bedel (Bar No. 243603) D ajbedel@quinnemanuel.com RDERE S SO O IED 865 South Figueroa Street, 10th Floor IT I DIF Los Angeles, California 90017-2543 AS MO Telephone: (213) 443-3000 re Facsimile: (213) 443-3100 mes Wa Judge Ja
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UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN JOSE DIVISION KEVIN EMBRY, an individual, on behalf of himself, the general public and those similarly situated Plaintiff, v. ACER AMERICA CORPORATION; AND DOES 1 THROUGH 50 Defendants CASE NO. CV-09-01808 (JW) AMENDED STIPULATION TO CONTINUE CLASS CERTIFICATION DISCOVERY CUTOFF AND BRIEFING SCHEDULE
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Attorneys for Defendant ACER AMERICA CORPORATION
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12/8/2009
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TO THE COURT: WHEREAS, the Court has set the following schedule for class certification: discovery cutoff on December 4, 2009; motion due January 18, 2010; opposition due February 1, 2010; reply due February 8, 2010; hearing February 22, 2010. WHEREAS, Plaintiff served interrogatories and requests for production on August 27, 2009; WHEREAS, Defendant served objections and responses to the discovery on October 1, 2009, which included agreement to produce certain documents; WHEREAS, the parties are continuing to meet and confer about Defendants' objections and the scope and timing of production, which has not yet commenced; WHEREAS, Plaintiff contends that more time is required to resolve the discovery disputes (including, if necessary, motion practice before the Magistrate with possible review by this Court), obtain and review documents, and take depositions; WHEREAS, the parties also have been discussing the possibility of and structure for settlement and it is possible that a settlement might be reached in advance of a class certification motion; and WHEREAS, the due date for the motion for class certification is Martin Luther King, Jr. Day, a Court holiday; NOW THEREFORE, THE PARTIES HEREBY STIPULATE AND AGREE that, if the Court approves, the dates for class certification, including the discovery cut-off date, should be extended for approximately 90 days, so that the new dates will be as follows: Discovery Cutoff: Motion Due: Opposition Due: Reply Due: Hearing: /// March 5, 2010 March 22, 2010 April 5, 2010
April 12, 2010 April 9, 2010
April 26, 2010
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AMENDED STIPULATION TO CONTINUE CLASS CERT DATES EMBRY V. ACER, CASE 09-1808
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IT IS SO STIPULATED. DATED: October 29, 2009 GUTRIDE SAFIER LLP
By: /s/ Adam Gutride ________________________ Adam Gutride Seth A. Safier Attorneys for Plaintiff Kevin Embry
DATED:
October 29, 2009
QUINN EMANUEL URQUHART OLIVER & HEDGES, LLP By: /s/ Stan Karas __________________________ Jeffery D. McFarland Stan Karas A.J. Bedel Attorneys for Defendant Acer America Corporation
FOR GOOD CAUSE SHOWN, IT IS SO ORDERED.AS MODIFIED ABOVE. DATED:
December 8, ______________, 2009
_________________________________________ Honorable James Ware United States District Court Judge
AMENDED STIPULATION TO CONTINUE CLASS CERT DATES EMBRY V. ACER, CASE 09-1808
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