Weber v. Google, Inc.
Filing
39
STIPULATION requesting enlargement of briefing schedule by Jason Weber. (Attachments: # 1 Declaration D.Stampley i/s/o Request, # 2 Proposed Order)(Stampley, David) (Filed on 8/26/2011)
1 Scott A. Kamber (admitted pro hac vice)
skamber@kamberlaw.com
2 David A. Stampley (admitted pro hac vice)
dstampley@kamberlaw.com
3 KamberLaw, LLC
100 Wall Street, 23rd Floor
4 New York, New York 10005
Telephone: (212) 920-3072
5 Facsimile: (212) 920-3081
6 Avi Kreitenberg (SBN 266571)
akreitenberg@kamberlaw.com
7 KamberLaw, LLP
1180 South Beverly Drive, Suite 601
8 Los Angeles, California 90035
Telephone: (310) 400-1050
9 Facsimile: (310) 277-0635
10 Attorneys for Plaintiff
11
UNITED STATES DISTRICT COURT
12
NORTHERN DISTRICT OF CALIFORNIA
13
SAN JOSE DIVISION
14
Case No.: 5:10-cv-05035-EJD
15 JASON WEBER, individually and on behalf
of a class of similarly situated individuals,
16
Plaintiff,
17
v.
18
GOOGLE INC., a Delaware Corporation,
19
Defendant.
20
21
1.
STIPULATED REQUEST FOR ORDER
CHANGING TIME
Complaint filed: November 5, 2010
Pursuant to Civil Local Rule 6-1 and as supported by the declaration of David A.
22 Stampley filed herewith, the parties to this action hereby stipulate and respectfully request that
23 the Court grant an enlargement of time of the dates for Plaintiff to file his response in opposition
24 to Defendant’s motion to dismiss, for Defendant to reply, and for the subsequent hearing and
25 conference before the Court in this matter.
26
2.
The Parties request that the Court set a date of October 7, 2011 for Plaintiff to
27 file his opposition to Defendant’s Motion to Dismiss (Dkt. 28).
28
Stip. Req. to Change Time
1
Case No.: 5:10-cv-05035-EJD
1
3.
The Parties further request that the Court set a date of October 28, 2011 for
2 Defendant to file its reply papers in support of its Motion to Dismiss.
3
4.
The Parties further requests that the Court set a date of November 11, 2011, or
4 any later date the Court deems appropriate, for hearing and conference in this matter.
5
6 Dated: August 26, 2011
7
KAMBERLAW, LLC
By: s/David A. Stampley
David A. Stampley
Attorneys for Plaintiff
8
9
10 Dated: August 26, 2011
11
O’MELVENY & MYERS LLP
By: s/Randall Edwards
Randall Edwards
Attorneys for Defendant Google Inc.
12
13
14 Filer’s Attestation: In compliance with General Order 45(X)(B), I hereby attest that
15 concurrence in the filing of this Stipulation has been obtained from Randall Edwards.
16
17 Dated: August 26, 2011
18
KAMBERLAW, LLC
By: s/David A. Stampley
David A. Stampley
Attorneys for Plaintiff
19
20
21
22
23
24
25
26
27
28
Stip. Req. to Change Time
2
Case No.: 5:10-cv-05035-EJD
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