San Francisco Technology, Inc. v. Adobe Systems Incorporated et al

Filing 98

STIPULATION AND ORDER RE 97 TO CONTINUE MOTION HEARINGS TO 4/8/2010. Signed by Judge Richard Seeborg on 03/01/2010. (rslc3, COURT STAFF) (Filed on 3/1/2010)

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1 2 3 4 5 6 7 8 9 10 11 MOUNT & STOELKER, P.C. RIVERPARK TOWER, SUITE 1650 333 WEST SAN CARLOS STREET SAN JOSE, CALIFORNIA 95110-2740 TELEPHONE (408) 279-7000 Kathryn G. Spelman, Esq. (Cal. Bar No. 154512) *E-Filed 03/01/2010* Daniel H. Fingerman, Esq. (Cal. Bar No. 229683) Mount & Stoelker, P.C. RiverPark Tower, Suite 1650 333 West San Carlos Street San Jose CA 95110-2740 Phone: (408) 279-7000 Fax: (408) 998-1473 Email: kspelman@mount.com, dfingerman@mount.com Attorneys for San Francisco Technology Inc. United States District Court Northern District of California ) ) ) Plaintiff ) ) vs. ) ) ) Adobe Systems Incorporated, The Brita ) Products Company, Delta Faucet ) Company, Evans Manufacturing Inc., The ) Evercare Company, Graphic Packaging ) International Inc., Magnum Research Inc., ) ) Pavestone Company LP, The Procter & ) Gamble Company, S.C. Johnson & Son ) Inc., Spectrum Brands Inc., Super Swim ) Corp., Unilock Inc., West Coast Chain ) Mfg. Co. ) ) Defendants ) San Francisco Technology Inc. Case No. 5:09-cv-06083-RS Stipulation to Continue Hearing on Motions Filed by Magnum Research Inc. and [Proposed] Order Date: Time: Room: Judge: March 25, 2010 1:30 pm Courtroom 3, 17th Floor Richard Seeborg 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 1 2 3 4 5 6 7 8 9 10 11 MOUNT & STOELKER, P.C. RIVERPARK TOWER, SUITE 1650 333 WEST SAN CARLOS STREET SAN JOSE, CALIFORNIA 95110-2740 TELEPHONE (408) 279-7000 Plaintiff San Francisco Technology Inc. ("SF Tech") and defendant Magnum Research Inc. ("Magnum Research") stipulate as follows: 1. On January 29, 2010, Magnum Research filed two motions and noticed the hearings to occur on March 25, 2010. Those motions are: a. b. Defendant Magnum Research Inc.'s Motion To Dismiss (Docket No. 50) Defendant Magnum Research Inc.'s Notice Of Motion And Motion To Sever And Transfer Venue To District Of Minnesota (Docket No. 51) 2. On Friday, February 26, 2010, Plaintiff's counsel was informed that several other defendants in this case intend to file similar motions on Monday, March 1, 2010, and that those motions will be noticed to be heard on April 8, 2010. 3. For good cause, and to conserve judicial resources, Plaintiff SF Tech and defendant 12 13 14 15 16 17 18 19 20 21 Magnum Research request that the hearing on Magnum Research's motions be continued to April 8, 2010 at 1:30pm so they can be heard concurrently with the other defendants' motions. The stipulating parties also request that the deadlines for filing opposition and reply papers be continued to correspond to the changed hearing date. Date: March 1, 2010 Mount & Stoelker, P.C., /s/ Dan Fingerman Attorneys for San Francisco Technology Inc. Date: March 1, 2010 Winthrop & Weinstine, P.A. /s/ David A. Davenport Attorneys for Magnum Research Inc. As the attorney electronically filing, I attest that each signatory has concurred in this filing. 22 23 24 25 26 27 28 Date: March 1, 2010 Mount & Stoelker, P.C., /s/ Dan Fingerman Attorneys for San Francisco Technology Inc. Pursuant to stipulation, it is so ordered. 03/01/2010 Date: _____________________________ _________________________________________ Richard Seeborg, U.S. District Judge Case No. 5:09-cv-06083-RS Stipulation to Continue Hearing on Motions Filed by Magnum Research Inc. and [Proposed] Order Page 1 1 2 3 4 5 6 7 8 9 10 11 MOUNT & STOELKER, P.C. RIVERPARK TOWER, SUITE 1650 333 WEST SAN CARLOS STREET SAN JOSE, CALIFORNIA 95110-2740 TELEPHONE (408) 279-7000 Certificate of Service The undersigned certifies that on March 1, 2010, the foregoing document was filed with the Clerk of the U.S. District Court for the Northern District of California, using the court's electronic filing system (ECF), in compliance with Civil L.R. 5-4 and General Order 45. The ECF system serves a "Notice of Electronic Filing" to all parties and counsel who have appeared in this action, who have consented under Civil L.R. 5-5 and General Order 45 to accept that Notice as service of this document. Date: March 1, 2010 Mount & Stoelker, P.C., /s/ Dan Fingerman Attorneys for San Francisco Technology Inc. 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Case No. 5:09-cv-06083-RS Certificate of Service Page 1

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