Paul De La Torre v. Charles Tyrwhitt, Inc.
Filing
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ORDER APPROVING, AS MODIFIED, 20 STIPULATION TO EXTEND DEFENDANT'S TIME TO RESPOND TO FIRST AMENDED COMPLAINT. Case Management Statement due by 3/26/2015. Initial Case Management Conference set for 4/2/2015 01:30 PM in Courtroom 3, 5th Floor, San Jose. Signed by Hon. Beth Labson Freeman on 1/16/2015. (blflc2, COURT STAFF) (Filed on 1/16/2015)
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Thomas B. Mayhew (State Bar No. 183539)
tmayhew@fbm.com
Sunshine W. Yin (State Bar No. 293799)
syin@fbm.com
Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
San Francisco, CA 94104
Telephone: (415) 954-4400
Facsimile: (415) 954-4480
Attorneys for Defendant
CHARLES TYRWHITT, INC.
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA (SAN JOSE)
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PAUL DE LA TORRE,
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Plaintiff,
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vs.
Case No. 5:14-cv-04603-BLF
STIPULATION AND [PROPOSED] ORDER
TO EXTEND DEFENDANT’S TIME TO
RESPOND TO FIRST AMENDED
COMPLAINT
CHARLES TYRWHITT, INC. and
CHARLES TYRWHITT LLP,
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Defendants.
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Plaintiff Paul De La Torre (“Plaintiff” or “De La Torre”) and Defendant Charles Tyrwhitt,
LLP (“Defendant” or “Tyrwhitt”) make this stipulation with reference to the following facts:
(1)
On December 3, 2014, Mr. De La Torre and Tyrwhitt stipulated that Tyrwhitt’s
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deadline for responding to the Amended Complaint would be extended to January 16, 2015, or on
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such later date as the Parties may subsequently agree under the terms of the local rules;
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(2)
On December 4, 2014, Mr. De La Torre filed an Amended Complaint;
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(3)
Plaintiff and Defendant have been engaging in settlement negotiations and hope to
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resolve the dispute prior to further litigation. Thus, both parties agree to extend the deadline for
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Defendant’s response to February 27, 2015, or on such later date as the parties may subsequently
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agree under the terms of the local rules;
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Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
San Francisco, CA 94104
(415) 954-4400
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Currently scheduled is a Case Management Conference set for hearing on March
3, 2015, with a statement due date of February 24, 2015.
STIP. AND [PROPOSED] ORDER TO EXTEND
DEF’S TIME TO RESPOND TO FAC
CASE NO.: 5:14-CV-04603-BLF
-1-
30984\4714023.2
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ACCORDINGLY, IT IS HEREBY STIPULATED BY THE PARTIES, by and through
their undersigned counsel of record:
(1)
The deadline for Defendant to respond to the Amended Complaint shall be
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February 27, 2015, or on such later date as the parties may subsequently agree under the terms of
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the local rules.
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(2)
The March 3, 2015 Case Management Conference date and the statement due date
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of February 24, 2015 are vacated. If the parties do not reach a settlement by February 27, 2015,
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they should jointly contact the court and arrange for a new date for the case management
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conference with the court’s clerk.
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IT IS SO STIPULATED,
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Dated: January 16, 2015
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Farella Braun + Martel LLP
I represent that concurrence in the filing of
this document has been obtained from the
other signatory(ies), which shall serve in lieu By: /s/ Thomas B. Mayhew
of his/her signature on this document.
Thomas B. Mayhew
Sunshine W. Yin
Attorneys for Defendant
CHARLES TYRWHITT, INC.
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Dated: January 16, 2015
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Pratt & Associates
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By: /s/ Ben F. Pierce Gore
Ben F. Pierce Gore
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Attorneys for Plaintiff
PAUL DE LA TORRE
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Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
San Francisco, CA 94104
(415) 954-4400
STIP. AND [PROPOSED] ORDER TO EXTEND
DEF’S TIME TO RESPOND TO FAC
CASE NO.: 5:14-CV-04603-BLF
-2-
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[PROPOSED] ORDER
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The Case Management Conference Statement due date of February 24, 2015, is hereby
vacated. If the parties do not reach a settlement by February 27, 2015, they should jointly contact
the court and arrange for a new date for the case management conference with the court’s clerk.
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The Initial Case Management Conference presently scheduled for March 3, 2015 is
HEREBY CONTINUED to April 2, 2015 at 1:30 p.m. The parties’ Joint Case Management
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Statement is due by March 26, 2015.
IT IS SO ORDERED.
Date: January 16, 2015
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____________________________________
Beth Labson Freeman
United States District Court Judge
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Farella Braun + Martel LLP
235 Montgomery Street, 17th Floor
San Francisco, CA 94104
(415) 954-4400
STIP. AND [PROPOSED] ORDER TO EXTEND
DEF’S TIME TO RESPOND TO FAC
CASE NO.: 5:14-CV-04603-BLF
-3-
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