Mujadadi-Turan v. Motorola Mobility, LLC et al
Filing
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ORDER GRANTING 30 Fourth Joint Stipulation To Continue Deadline For Defendant Motorola Mobility, LLC To Respond To Plaintiff's Complaint filed by Motorola Mobility, LLC. Response due 11/10/2015. Signed by Judge Edward J. Davila on 11/10/2015. (ecg, COURT STAFF) (Filed on 11/10/2015)
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NIA MUJADADI-TYRAN,
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D IS T IC T O
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R NIA
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NORTHERN DISTRICT OF CALIFORNIA
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. D av i l a
DATED: 11/10/2015
UNITED STATES DISTRICT COURT
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ER
w a rd J
u d ge E d
LI
Attorneys for Defendant
MOTOROLA MOBILITY, LLC
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NO
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D
RDERE
OO
IT IS S
A
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UNIT
ED
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BENJAMIN A. EMMERT, Bar No. 212157
LITTLER MENDELSON, P.C.
A Professional Corporation
50 West San Fernando Street
15th Floor
San Jose, CA 95113.2303
Telephone: 408.998.4150
Fax No.:
408.288.5686
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S DISTRICT
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Plaintiff,
v.
MOTOROLA MOBILITY, LLC;
METROPOLITAN LIFE INSURANCE
COMPANY,
CASE NO. 5:15-CV-2752 (EJD)
FOURTH JOINT STIPULATION TO
CONTINUE DEADLINE FOR
DEFENDANT MOTOROLA MOBILITY,
LLC TO RESPOND TO PLAINTIFF’S
COMPLAINT
Defendants.
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LITTLER MENDELSON, P.C.
50 W. San Fernando, 15th Floor
San Jose, CA 95113.2303
408.998.4150
CASE NO. 5-15-CV-2572(EJD)
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Fourth Joint Stipulation To Continue Deadline For Defendant
Motorola Mobility, LLC To Respond To Plaintiff’s Complaint
JOINT STIPULATION
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Pursuant to Civil Local Rule 6-1, Plaintiff Nia Mujadadi-Turan (“Plaintiff”) and
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Defendant Motorola Mobility, LLC (“Motorola”) (Plaintiff and Motorola are referred to as the
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“Parties”), hereby jointly stipulate to a fourth extension of time for Motorola to respond to Plaintiff’s
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Complaint. Pursuant to the Parties Agreement, Motorola will respond to Plaintiff’s Complaint on or
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before December 9, 2015. In support of this Stipulation, the Parties agree and stipulate as follows:
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United States District Court for the Northern District of California. (See ECF, Doc. No. 1.)
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On June 18, 2015, Plaintiff initiated the present action against Motorola in the
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Motorola was served with the Summons and Complaint in this action on July
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On August 11, 2015, the Parties agreed to a thirty (30) day extension for
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Motorola to respond to the Complaint. Pursuant to the stipulation, Motorola’s response to the
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Complaint was due on or before September 10, 2015.
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On September 10, 2015, the Parties agreed to a second thirty (30) day
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extension for Motorola to respond to the Complaint.
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response to the Complaint was due on or before October 10, 2015.
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5.
Pursuant to the stipulation, Motorola’s
On October 9, 2015, the Parties agreed to a third thirty (30) day extension for
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Motorola to respond to the Complaint. Pursuant to the stipulation, Motorola’s response to the
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Complaint was due on or before November 9, 2015.
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On November 6, 2015, the Parties have agreed to a fourth thirty (30) day
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extension of time for Motorola to respond to Plaintiff’s Complaint.
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response to the Complaint is now due on or before December 9, 2015.
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7.
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This Stipulation will not alter the date of any event or any deadline already
fixed by Court order.
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Accordingly, Motorola’s
LITTLER MENDELSON, P.C.
50 W. San Fernando, 15th Floor
San Jose, CA 95113.2303
408.998.4150
CASE NO. 5-15-CV-2572(EJD)
1.
Fourth Joint Stipulation To Continue Deadline For Defendant
Motorola Mobility, LLC To Respond To Plaintiff’s Complaint
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We hereby attest that we have on file all holographic signatures corresponding to any
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This is the fourth extension of time sought in this matter.
signatures indicated by a conformed signature (/s/) within this e-filed document.
Dated: November 9, 2015
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/s/ Beth A. Davis
Beth A. Davis
Attorneys for Plaintiff
NIA MUJADADI-TURAN
Dated: November 9, 2015
/s/ Benjamin A. Emmert
BENJAMIN A. EMMERT
LITTLER MENDELSON
Attorneys for Defendant
MOTOROLA MOBILITY, LLC
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Firmwide:136860368.2 071264.1013
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LITTLER MENDELSON, P.C.
50 W. San Fernando, 15th Floor
San Jose, CA 95113.2303
408.998.4150
CASE NO. 5-15-CV-2572(EJD)
2.
Fourth Joint Stipulation To Continue Deadline For Defendant
Motorola Mobility, LLC To Respond To Plaintiff’s Complaint
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