Li v. A Perfect Day Franchise, Inc
Filing
295
ORDER Regarding Stipulation Enlarging Time to File. Signed by Judge Lucy H. Koh on 11/14/2011. (lhklc2, COURT STAFF) (Filed on 11/14/2011)
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MONIQUE OLIVIER (SBN 190385)
(monique@dplolaw.com)
DUCKWORTH PETERS LEBOWITZ OLIVIER LLP
100 Bush Street, Suite 1800
San Francisco, CA 94104
Telephone: (415) 433-0333
Facsimile: (415) 449-6556
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JAMES C. STURDEVANT (SBN 94551)
(jsturdevant@sturdevantlaw.com)
THE STURDEVANT LAW FIRM
A Professional Corporation
354 Pine Street, Fourth Floor
San Francisco, California 94104
Telephone: (415) 477-2410
Facsimile: (415) 477-2420
Attorneys for Plaintiffs and the Class
and Counterdefendants
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UNITED STATES DISTRICT COURT
NORTHERN DISTRICT OF CALIFORNIA
SAN JOSE DIVISION
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GUIFU LI, MENG YANG, FANG DAI,
LIN CUI, and ZHONG YU on behalf of
themselves and all others similarly situated,
Case No. CV 10-01189 LHK (PSG)
CLASS ACTION
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Plaintiffs,
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vs.
A PERFECT DAY FRANCHISE, INC., a
California corporation, et al.,
STIPULATION AND [PROPOSED] ORDER TO
ENLARGE BRIEFING SCHEDULE ON
DEFENDANT’S MOTION TO DISMISS
(DKT. 283)
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Defendants.
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MINJIAN HAND HEALING INSTITUTE,
INC., a California corporation,
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Courtroom: 4, 5th Floor
Judge:
Hon. Lucy H. Koh
Counterclaimant,
vs.
Complaint Filed: March 22, 2010
FANG DAI, and individual; ZHONG YU, an
individual; LIN CUI, and individual; and
DOES 11-30, inclusive,
Counterdefendants.
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STIPULATION AND [PROPOSED] ORDER TO ENLARGE BRIEFING SCHEDULE ON DEFENDANTS’ MOTION TO DISMISS
CASE NO. CV 10-01189 LHK (PSG)
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WHEREAS on November 2, 2011, Defendants’ filed a Motion to Dismiss (Dkt. 283), which,
pursuant to Local Rule 7-3, set the briefing schedule as follows:
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Opposition Due
November 16, 2011
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Reply Due
November 23, 2011
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WHEREAS the hearing on this matter is not until January 5, 2012.
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WHEREAS the parties have been actively engaged in discovery and in briefing motions to
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compel, and responses thereto based on the Court’s deadline to file such motions more than thirty
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(30) days prior to the discovery cut-off date. (Dkt. 267.)
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WHEREAS the discovery cut-off in this case is set for December 2, 2011. (Dkt. 254.)
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WHEREAS the parties have noticed multiple depositions to occur during the month of
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November, 2011.
IT IS HEREBY STIPULATED by and between the parties, through their respective attorneys
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of record, that the briefing schedule on Defendants’ Motion to Dismiss (Dkt. 283) shall be amended
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as follows:
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Opposition Due
November 23, 2011
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Reply Due
December 7, 2011
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Dated: November 11, 2011
THE STURDEVANT LAW FIRM
A Professional Corporation
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By: /s/ Monique Olivier
Monique Olivier
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Attorneys for Plaintiffs and the Putative Class and
Counterdefendants
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DUCKWORTH PETERS LEBOWITZ OLIVIER LLP
Dated: November 11, 2011
LAW OFFICES OF RICHARD WAHNG
By: /s/ Lee E. Sheldon
Lee Edwin Sheldon
Attorneys for Defendants and Counterclaimant
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STIPULATION AND [PROPOSED] ORDER TO ENLARGE BRIEFING SCHEDULE ON DEFENDANTS’ MOTION TO DISMISS
CASE NO. CV 10-01189 LHK (PSG)
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ATTESTATION UNDER GENERAL ORDER 45
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I, Monique Olivier, am the ECF user whose ID and password are being used to file this
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STIPULATION AND [PROPOSED] ORDER TO ENLARGE BRIEFING SCHEDULE ON
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DEFENDANTS’ MOTION TO DISMISS (DKT. 283). In compliance with General Order 45, I
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hereby attest that Lee Sheldon, counsel for Defendants, has concurred in this filing.
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Dated: November 11, 2011
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/s/ Monique Olivier
Monique Olivier
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STIPULATION AND [PROPOSED] ORDER TO ENLARGE BRIEFING SCHEDULE ON DEFENDANTS’ MOTION TO DISMISS
CASE NO. CV 10-01189 LHK (PSG)
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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The briefing schedule on Defendants’ Motion to Dismiss (Dkt. 283) shall be amended as
follows:
Opposition Due
November 23, 2011
Reply Due
December 7, 2011
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November 14, 2011
DATED: ______________________
By: _______________________________________
HONORABLE LUCY H. KOH
United States District Judge
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STIPULATION AND [PROPOSED] ORDER TO ENLARGE BRIEFING SCHEDULE ON DEFENDANTS’ MOTION TO DISMISS
CASE NO. CV 10-01189 LHK (PSG)
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