SDL PLC v. Lilt, Inc.

Filing 30

ORDER GRANTING 29 STIPULATION TO EXTEND MEDIATION DEADLINE. Signed by Judge Edward J. Davila on 9/13/2017. (ejdlc2S, COURT STAFF) (Filed on 9/13/2017)

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1 5 JOHN S. FERRELL (CA SBN 154914) jferrell@carrferrell.com SCOTT R. MOSKO (CA SBN 106070) smosko@carrferrell.com CARR & FERRELL LLP 120 Constitution Drive Menlo Park, California 94025 Telephone: (650) 812-3400 Facsimile: (650) 812-3444 6 Attorneys for SDL PLC 7 JAMES C. YOON, State Bar No. 177155 jyoon@wsgr.com WILSON SONSINI GOODRICH & ROSATI P.C. 650 Page Mill Road Palo Alto, California 94304-1050 Telephone: (650) 493-9300 Facsimile: (650) 565-5100 2 3 4 8 9 10 11 Attorney for LILT, INC. 12 13 UNITED STATES DISTRICT COURT 14 NORTHERN DISTRICT OF CALIFORNIA 15 SAN JOSE DIVISION 16 17 Case No: 5:17-cv-01857-EJD SDL PLC, 18 20 21 STIPULATION AND [PROPOSED] ORDER TO EXTEND MEDIATION DEADLINE Plaintiff, 19 vs. [Civil Local Rule 7, ADR Local Rule 6-5] LILT, Inc., Honorable Edward J. Davila 22 Defendant. 23 24 25 The parties, by and through their respective counsel, hereby agree and stipulate as follows pursuant to Civil Local Rule 7 and ADR Local Rule 6-5: 26 1. On August 30, 2017, the ADR Unit appointed Bill F. Abrams as mediator for this matter; 27 2. The parties are currently engaged productively in settlement negotiations that may lead to a 28 resolution of this matter; 1 Stipulation and Proposed Order to Extend Mediation Deadline Case No. 5:17-cv-01857-EJD 1 2 3. There is no mediation currently scheduled, however, the parties believe that if mediation is necessary, it will be more productive to commence mediation after the claim construction hearing; 3 4. 4 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. The parties have agreed to complete mediation by March 30, 2018. 5 6 DATED: September 12, 2017 CARR & FERRELL LLP 7 /s/ John S. Ferrell 8 By: John S. Ferrell Attorneys for Plaintiff 9 10 11 12 DATED: September 12, 2017 WILSON SONSINI GOODRICH & ROSATI P.C. 13 14 /s/ James C. Yoon By: James C. Yoon Attorneys for Defendant 15 16 17 PURSUANT TO STIPULATION, IT IS SO ORDERED THAT THE DEADLINE FOR THE PARTIES TO 18 COMPLETE MEDIATION IS EXTENDED TO MARCH 30, 2018. 19 20 September 13, 2017 DATED: ____________________ 21 22 23 _____________________________________ Edward J. Davila United States District Judge 24 25 26 27 28 2 Stipulation and Proposed Order to Extend Mediation Deadline Case No. 5:17-cv-01857-EJD ATTESTATION 1 2 3 I, John S. Ferrell, attest that concurrence in the filing of this document has been obtained 4 from any signatories indicated by a “conformed” signature (/s/) within this e-filed document. I 5 declare under penalty of perjury under the laws of the United States of America that the foregoing is 6 true and correct. 7 Dated: September 12, 2017 8 /s/ John S. Ferrell 9 John S. Ferrell (CA SBN 154914) 10 11 CERTIFICATE OF SERVICE 12 13 14 15 This is to certify that on the 12th day of September, 2017, Stipulation and Proposed Order to Extend Mediation Deadline was served via email upon the following: 16 17 18 19 20 21 22 JAMES C. YOON WILSON SONSINI GOODRICH & ROSATI P.C. 650 Page Mill Road Palo Alto, California 94304-1050 VIA ELECTRONIC MAIL Attorney for Defendant, LILT, INC. Telephone No.: (650) 493-9300 Email Address: jyoon@wsgr.com Attorneys for Defendant 23 24 25 /s/ John S. Ferrell 26 John S. Ferrell (CA SBN 154914) 27 28 3 Stipulation and Proposed Order to Extend Mediation Deadline Case No. 5:17-cv-01857-EJD

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