Diaz et al v. Intuit, Inc.

Filing 126

ORDER GRANTING 125 STIPULATION TO EXTEND DEADLINE TO FILE AMENDED COMPLAINT. Signed by Judge Edward J. Davila on 10/19/2017. (ejdlc2S, COURT STAFF) (Filed on 10/19/2017)

Download PDF
1 2 3 4 5 6 7 Michael W. Sobol (SBN 194857) msobol@lchb.com LIEFF CABRASER HEIMANN & BERNSTEIN, LLP 275 Battery Street, 29th Floor San Francisco, CA 94111-3339 Telephone: 415.956.1000 Steven W. Teppler (pro hac vice) steppler@abbottlawpa.com ABBOTT LAW GROUP, P.A. 2929 Plummer Cove Road Jacksonville, FL 32223 Telephone: 904.292.1111 Rodger R. Cole (SBN 178865) rcole@fenwick.com Angel Chiang (SBN 280546) achiang@fenwick.com FENWICK & WEST LLP Silicon Valley Center 801 California Street Mountain View, CA 94041 Telephone: 650.988.8500 Facsimile: 650.938.5200 Attorneys for Defendant Intuit Inc. 8 9 10 11 12 13 14 Joseph J. Siprut (pro hac vice) jsiprut@siprut.com SIPRUT PC 17 North State Street, Suite 1600 Chicago, IL 60602 Telephone: 312.236.0000 Ariana J. Tadler (pro hac vice) atadler@milberg.com MILBERG, LLP One Pennsylvania Plaza, 49th Floor New York, NY 10119 Telephone: 212.946.9453 15 Attorneys for Plaintiffs and the Proposed Class 16 17 IN THE UNITED STATES DISTRICT COURT 18 FOR THE NORTHERN DISTRICT OF CALIFORNIA 19 20 IN RE INTUIT DATA LITIGATION Case No. 15-CV-1778-EJD-SVK 22 THIS DOCUMENT RELATES TO: 23 ALL ACTIONS STIPULATION AND [PROPOSED] ORDER CONTINUING THE DEADLINE FOR PLAINTIFFS TO FILE AN AMENDED COMPLAINT 21 24 Hon. Edward J. Davila 25 26 27 28 STIPULATION AND [PROPOSED] ORDER CONTINUING THE DEADLINE FOR PLAINTIFFS TO FILE AMENDED COMPLAINT; 15-CV-1778-EJD-SVK 1 WHEREAS, on September 29, 2017, the Court entered an Order in this action granting in 2 part and denying in part Defendant Intuit, Inc.’s (“Defendant”) Motion To Dismiss Plaintiffs’ 3 Second Consolidated Amended Complaint (Dkt. 124; the “MTD Order”); 4 5 6 WHEREAS, pursuant to the MTD Order, the Court directed that Plaintiffs Richard Brown and Christine Diaz may file an amended complaint by October 23, 2017 (Dkt. 124 at 11); WHEREAS, Plaintiffs are working diligently on preparing an amended complaint, and 7 have determined that a modest extension of time would be beneficial and would serve the 8 interests of justice; 9 WHEREAS, counsel for Plaintiffs have conferred with counsel for Defendant, and the 10 parties have agreed, subject to the Court’s approval, to continue the deadline for Plaintiffs to file 11 an amended complaint from October 23, 2017 to November 17, 2017; 12 WHEREAS, the parties have conferred and agreed to the following briefing schedule for 13 any subsequent motion to dismiss Plaintiffs’ Third Consolidated Amended Complaint, or for 14 Defendant to answer should it elect not file a motion to dismiss: 15 17 18 19 20 21 22 23 24 Proposed Date Event 16 Deadline for Plaintiffs to file Third Consolidated Amended Complaint November 17, 2017 Deadline for Defendant to file any motion to dismiss Third Consolidated Amended Complaint, or to answer if it elects not file a motion to dismiss December 15, 2017 Deadline for Plaintiffs to file opposition to any motion to dismiss January 17, 2018 Deadline for Defendant to file reply in support of any February 2, 2018 motion to dismiss 25 26 WHEREAS, the requested continuance will not affect any other deadlines previously set 27 by the Court; 28 -1- STIPULATION AND [PROPOSED] ORDER CONTINUING THE DEADLINE FOR PLAINTIFFS TO FILE AMENDED COMPLAINT; 15-CV-1778-EJD-SVK 1 NOW, THEREFORE, the parties hereby stipulate and respectfully request that the 2 deadline for Plaintiffs to file an amended complaint be continued from October 23, 2017, to 3 November 17, 2017, and the Court set a briefing schedule for any subsequent motion to dismiss 4 as outlined above. 5 6 IT IS SO STIPULATED. 7 Dated: October 18, 2017 Respectfully Submitted, 8 LIEFF CABRASER HEIMANN & BERNSTEIN, LLP 9 By: /s/ Roger N. Heller 10 14 Michael W. Sobol (msobol@lchb.com) Roger N. Heller (rheller@lchb.com) Melissa A. Gardner (mgardner@lchb.com) 275 Battery Street, 29th Floor San Francisco, CA 94111 Telephone: 415.956.1000 Facsimile: 415.956.1008 15 Attorneys for Plaintiffs 11 12 13 16 17 Respectfully Submitted, Dated: October 18, 2017 By: /s/ Rodger R. Cole 18 19 20 21 22 23 24 25 Rodger R. Cole (SBN 178865) rcole@fenwick.com Angel Chiang (SBN 280546) achiang@fenwick.com FENWICK & WEST LLP Silicon Valley Center 801 California Street Mountain View, CA 94041 Telephone: 650.988.8500 Facsimile: 650.938.5200 Attorneys for Defendant Intuit Inc. 26 27 28 -2- STIPULATION AND [PROPOSED] ORDER CONTINUING THE DEADLINE FOR PLAINTIFFS TO FILE AMENDED COMPLAINT; 15-CV-1778-EJD-SVK 1 [PROPOSED] ORDER 2 3 PURSUANT TO STIPULATION, IT IS HEREBY ORDERED. 4 5 Dated: October 19, 2017 HON. EDWARD J. DAVILA UNITED STATES DISTRICT JUDGE 6 7 8 9 10 11 12 ECF CERTIFICATION 13 Pursuant to Local Rule 5-1(i)(3), the filing attorney attests that she has obtained 14 concurrence regarding the filing of this document from the signatories to the document. 15 Dated: October 18, 2017 By: /s/ Roger N. Helller 16 17 18 19 1376168.2 20 21 22 23 24 25 26 27 28 -1- STIPULATION AND [PROPOSED] ORDER CONTINUING THE DEADLINE FOR PLAINTIFFS TO FILE AMENDED COMPLAINT; 15-CV-1778-EJD-SVK

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?