Pipkin et al v. Carrier IQ, Inc et al
Filing
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STIPULATION AND ORDER Continuing Defendant's Time to Respond to Complaint as to Carrier IQ, Inc. re 12 Stipulation. Signed by Judge Edward J. Davila on 12/21/2011. (ecg, COURT STAFF) (Filed on 12/21/2011)
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RODGER R. COLE (CSB No. 178865)
rcole@fenwick.com
MOLLY R. MELCHER (CSB No. 272950)
mmelcher@fenwick.com
FENWICK & WEST LLP
Silicon Valley Center
801 California Street
Mountain View, CA 94041
Telephone:
650.988.8500
Facsimile:
650.938.5200
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TYLER G. NEWBY (CSB No. 205790)
tnewby@fenwick.com
555 California Street, 12th Floor
San Francisco, CA 94104
Telephone:
(415) 875-2300
Facsimile:
(415) 281-1350
Attorneys for Defendant
Carrier IQ, Inc.
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UNITED STATES DISTRICT COURT
MOUNTAIN VIEW
ATTORNEYS AT LAW
F ENWICK & W EST LLP
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NORTHERN DISTRICT OF CALIFORNIA
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SAN JOSE DIVISION
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DANIEL PIPKIN and CHAD ULRICH, on
Behalf of Themselves and All Others Similarly
Situated,
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Plaintiffs,
v.
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STIPULATION RE CONTINUANCE
OF TIME FOR DEFENDANT TO
RESPOND TO COMPLAINT AND
[PROPOSED] ORDER EXTENDING
TIME TO RESPOND TO COMPLAINT
CARRIER IQ, INC.; SAMSUNG
ELECTRONICS AMERICA, INC.; SAMSUNG
TELECOMMUNICATIONS AMERICA, INC.;
HTC AMERICA, INC.,
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Case No.: 11-CV-05820-EJD
Defendants.
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WHEREAS the above-referenced plaintiffs filed the above-captioned case;
WHEREAS the above-referenced plaintiffs allege violations of the Federal Wiretap Act
and other laws by the defendants in this case;
WHEREAS over 50 other complaints have been filed to-date in federal district courts
throughout the United States by plaintiffs purporting to bring class actions on behalf of cellular
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STIP RE CONTINUANCE OF TIME FOR
DEF. TO RESPOND TO COMPLAINT
CV 11-05820
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telephone and other device users on whose devices software made by defendant Carrier IQ, Inc. is
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or has been embedded (collectively, including the above-captioned matter, the “CIQ cases”);
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WHEREAS, a motion is pending before the Judicial Panel on Multidistrict Litigation to
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transfer the CIQ cases to this jurisdiction for coordinated and consolidated pretrial proceedings
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pursuant to 28 U.S.C. Sec. 1407, responses to the motion supporting coordination or
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consolidation have been filed, and plaintiffs and defendants anticipate that additional responses
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will be filed;
WHEREAS plaintiffs anticipate the possibility of one or more consolidated amended
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complaints in the CIQ cases;
WHEREAS plaintiffs and defendant Carrier IQ have agreed that an orderly schedule for
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MOUNTAIN VIEW
ATTORNEYS AT LAW
any response to the pleadings in the CIQ cases would be more efficient for the parties and for the
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F ENWICK & W EST LLP
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Court;
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WHEREAS plaintiffs agree that the deadline for defendant Carrier IQ to answer, move, or
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otherwise respond to their complaint shall be extended until the earliest of the following dates: (1)
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forty-five days after the filing of a consolidated amended complaint in the CIQ cases; or (2) forty-
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five days after plaintiffs provide written notice to defendants that plaintiffs do not intend to file a
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consolidated amended complaint; or (3) as otherwise ordered by this Court or the MDL transferee
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court; provided, however, that in the event that Carrier IQ should agree to an earlier response date
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in any of these cases, Carrier IQ will respond to the complaint in the above-captioned action on
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that earlier date;
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WHEREAS plaintiffs further agree that this extension is available, without further
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stipulation with counsel for plaintiffs, to all named defendants who notify plaintiffs in writing of
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their intention to join this Stipulation;
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WHEREAS this Stipulation does not constitute a waiver by Carrier IQ of any defense,
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including but not limited to the defenses of lack of personal jurisdiction, subject matter
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jurisdiction, improper venue, sufficiency of process or service of process;
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WHEREAS, with respect to any defendant joining the Stipulation, this Stipulation does
not constitute a waiver of any defense, including but not limited to the defenses of lack of
STIP RE CONTINUANCE OF TIME FOR
DEF. TO RESPOND TO COMPLAINT
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CV 11-05820
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personal jurisdiction, subject matter jurisdiction, improper venue, sufficiency of process, or
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service of process; and
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WHEREAS, plaintiffs and defendant Carrier IQ, as well as any defendant joining this
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Stipulation, agree that preservation of evidence in the CIQ cases is vital, that defendants have
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received litigation hold letters, that they are complying with and will continue to comply with all
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of their evidence preservation obligations under governing law, and that that the delay brought
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about by this Stipulation should not result in the loss of any evidence,
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Now, therefore, pursuant to Civil Local Rule 7-12, plaintiffs in the above-referenced case
and defendant Carrier IQ, by and through their respective counsel of record, hereby stipulate as
follows:
1. The deadline for Carrier IQ to answer, move, or otherwise respond to plaintiffs’
MOUNTAIN VIEW
ATTORNEYS AT LAW
F ENWICK & W EST LLP
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complaint shall be extended until the earliest of the following dates: forty-five days after the filing
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of a consolidated amended complaint in these cases; or forty-five days after plaintiffs provide
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written notice to defendant Carrier IQ that plaintiffs do not intend to file a Consolidated Amended
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Complaint; or as otherwise ordered by this Court or the MDL transferee court; provided,
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however, that in the event that Carrier IQ should agree to an earlier response date in any of these
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cases, except by court order, Carrier IQ will respond to the complaint in the above-captioned case
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on that earlier date.
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2. This extension is available, without further stipulation with counsel for plaintiffs,
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to all named defendants who notify plaintiffs in writing of their intention to join this Stipulation;
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3. This Stipulation does not constitute a waiver by Carrier IQ or any other named
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defendant joining the Stipulation of any defense, including but not limited to the defenses of lack
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of personal jurisdiction, subject matter jurisdiction, improper venue, sufficiency of process, or
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service of process.
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4. As a condition of entry into this Stipulation, defendant Carrier IQ and any other
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defendant(s) joining this Stipulation, and the plaintiffs, agree that they are complying with and
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will continue to comply with all evidentiary preservation obligations under governing law.
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IT IS SO STIPULATED.
STIP RE CONTINUANCE OF TIME FOR
DEF. TO RESPOND TO COMPLAINT
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CV 11-05820
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DATED: December 19, 2011
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By /s/ Daniel L. Warshaw
DANIEL L. WARSHAW (185365)
dwarshaw@pswplaw.com
CLIFFORD H. PEARSON (108523)
cpearson@pswplaw.com
BOBBY POUYA (245527)
bpouya@pswplaw.com
15165 Ventura Blvd., Suite 400
Sherman Oaks, CA 91403
Telephone: (818) 788-8300
Facsimile: (818) 788-8104
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BRUCE L. SIMON (96241)
bsimon@pswplaw.com
AARON M. SHEANIN (214472)
asheanin@pswplaw.com
THOMAS K. BOARDMAN (276313)
tboardman@pswplaw.com
PEARSON, SIMON, WARSHAW & PENNY, LLP
44 Montgomery Street, Suite 2450
San Francisco, CA 94104
Telephone: (415) 433-9000
Facsimile: (415) 433-9008
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Attorneys for Plaintiffs
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FENWICK & WEST LLP
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MOUNTAIN VIEW
ATTORNEYS AT LAW
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F ENWICK & W EST LLP
PEARSON, SIMON, WARSHAW & PENNY, LLP
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By /s/ Tyler G. Newby
TYLER G. NEWBY (CSB No. 205790)
555 California Street, 12th Floor
San Francisco, CA 94104
Ph: (415) 875-2300
Fax: (415) 281-1350
tnewby@fenwick.com
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RODGER R. COLE (CSB No. 178865)
MOLLY R. MELCHER (CSB No. 272950)
FENWICK & WEST LLP
801 California Street
Mountain View, CA 94041
Ph: (650) 988-8500
Fax: (650) 938-5200
rcole@fenwick.com
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Attorneys for Defendant Carrier IQ, Inc.
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STIP RE CONTINUANCE OF TIME FOR
DEF. TO RESPOND TO COMPLAINT
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CV 11-05820
[PROPOSED] ORDER
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Pursuant to stipulation, it is SO ORDERED.
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Dated:
December 21, 2011
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Honorable Edward J. Davila
United States District Judge
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MOUNTAIN VIEW
ATTORNEYS AT LAW
F ENWICK & W EST LLP
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STIP RE CONTINUANCE OF TIME FOR
DEF. TO RESPOND TO COMPLAINT
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CV 11-05820
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CERTIFICATION
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I, Tyler G. Newby, am the ECF User whose identification and password are being
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used to file this STIPULATION AND [PROPOSED] ORDER RE: CONTINUANCE OF
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TIME FOR DEFENDANT TO RESPOND TO COMPLAINT. In compliance with General
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Order 45.X.B, I hereby attest that Daniel Warshaw has concurred in this filing.
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DATED: December 19, 2011
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By /s/ Tyler G. Newby
TYLER G. NEWBY (CSB No. 205790)
FENWICK & WEST LLP
555 California Street, 12th Floor
San Francisco, CA 94104
Ph: (415) 875-2300
Fax: (415) 281-1350
tnewby@fenwick.com
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MOUNTAIN VIEW
25143/00401/SF/5370741.1
ATTORNEYS AT LAW
F ENWICK & W EST LLP
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STIP RE CONTINUANCE OF TIME FOR
DEF. TO RESPOND TO COMPLAINT
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CV 11-05820
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