In Re: Methyl Tertiary Butyl Ether ("MTBE") Products Liability Litigation
Filing
4351
STIPULATED ORDER: IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff and Defendants in the above-captioned action, through undersigned counsel, that all FAC Defendants' time to move to dismiss the SAC shall be extended by three days, to January 8, 2016; IT IS FURTHER STIPULATED AND AGREED that all FAC Defendants' time to answer the SAC shall be adjourned sine die, with an answer date to be set following the Court's decision on the forthcoming Certain Defendants' Motion to Dismiss; and IT IS FURTHER STIPULATED AND AGREED that the SAC Defendants' time to answer or otherwise respond to the SAC shall be the date to be set for the FAC Defendants. SO ORDERED. (Motions due by 1/8/2016.) (Signed by Judge Shira A. Scheindlin on 12/31/2015) Filed In Associated Cases: 1:00-cv-01898-SAS-DCF, 1:14-cv-06228-SAS(kko)
UNITED STA TES DISTRICT COURT
SOUTHERN DISTRICT OF NEW YORK
In Re: Methyl Tertiary Butyl Ether ("MTBE")
Products Liability Litigation
Master File No. 1:00-1898 (SAS)
MDL 1358
This document relates to:
USDCSDNY
Commonwealth of Pennsylvania v. Exxon Mobil
Corporation, et al., Case No. 14-cv-06228
DOCUMENT
ELECTRONICALLY FILED
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~ROPOsEDl STIPULATEDf.:~~~
WHEREAS, Defendants named in the First Amended Complaint ("F AC Defendants")
currently have a deadline to answer or otherwise respond to the Second Amended Complaint
("SAC") on January 5, 2016;
WHEREAS, certain F AC Defendants intend to file a motion to dismiss portions of the
SAC and, therefore, will not be filing an Answer at this time;
WHEREAS, Plaintiff has requested additional time to respond to Defendants' pre-motion
letters; and
WHEREAS, the SAC has added certain new Defendants ("SAC Defendants"), many of
which have not yet been served;
IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff and Defendants
in the above-captioned action, through undersigned counsel, that all F AC Defendants' time to
move to dismiss the SAC shall be extended by three days, to January 8, 2016;
IT IS FURTHER STIPULATED AND AGREED that all FAC Defendants' time to
answer the SAC shall be adjourned sine die, with an answer date to be set following the Court's
decision on the forthcoming Certain Defendants' Motion to Dismiss; and
IT IS FURTHER STIPULATED AND AGREED that the SAC Defendants' time to
answer or otherwise respond to the SAC shall be Uis later ef: ~g Eiflj' 5 wllo,~g s~1:vice, as
stat.e4-itr the &\art's ~fo.,'e1nber 17, 2trl5 order, !!!.~e date to be set for the FAC Defendants.
AGREED TO BY:
s/ Michael Axline
Michael Axline, Esq.
Counsel for Plaintiff
s/ James A. Pardo
James A. Pardo, Esq.
Counsel for Exxon Mobil Corporation
and as Liaison Counsel for Defendants
sA-_5
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