Dazzlesmile et al v. Epic Advertising et al

Filing 42

Stipulated MOTION for Extension of Time to File Answer to First Amended Complaint filed by Defendants Farend Services, Jesse David Willms, 1021018 Alberta. (Attachments: # 1 Text of Proposed Order)(Kronenberger, Karl)

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KRONENBERGER BURGOYNE, LLP Karl S. Kronenberger (admitted pro hac vice) 150 Post Street, Suite 520 San Francisco, CA 94108 Telephone: (415) 955-1155 Facsimile: (415) 955-1158 karl@KBInternetLaw.com Attorney for Defendants JESSE DAVID WILLMS and 1021018 ALBERTA LTD. IN THE UNITED STATES DISTRICT COURT DISTRICT OF UTAH, CENTRAL DIVISION DAZZLESMILE, LLC, a Utah limited liability company, and OPTIMAL HEALTH SCIENCE, LLC, a Utah limited liability company, Plaintiffs, v. EPIC ADVERTISING, INC., a purported Delaware corporation AKA AZOOGLE.COM, INC., AKA AZOOGLEADS US INC., and AKA EPIC/AZOOGLE; AZOOGLE.COM, INC., a Delaware corporation; AZOOGLEADS US, INC., a non-public Delaware corporation; FAREND SERVICES LIMITED, a Cyprus registered company; JESSE DAVID WILLMS, an individual;1021018 ALBERTA LTD, a Numbered Alberta Canadian Corporation AKA JUST THINK MEDIA; ATLAST HOLDINGS, INC., a Colorado corporation, d/b/a ATLAST FULFILLMENT; GOOGLE, INC., a Delaware corporation, YAHOO! INC., a Delaware corporation; MICROSOFT CORPORATION, a Washington corporation; and DOES 1-10, Defendants. / 1 Case No. 2:09-cv-01043-PMW STIPULATION TO EXTEND TIME FOR DEFENDANTS FAREND SERVICES LIMITED, JESSE DAVID WILLMS AND 1021018 ALBERTA LTD. TO RESPOND TO FIRST AMENDED COMPLAINT Plaintiffs Dazzlesmile, LLC and Optimal Health Science, LLC ("Plaintiffs") and Defendants Jesse David Willms, Farend Services Limited and 1021018 Alberta Ltd., (collectively, the "Parties") hereby stipulate, pursuant to DUCivR 77-2 as follows: 1) Defendant Farend Services Limited's response to the first amended complaint is currently due on May 6, 2010 and the time originally prescribed to respond has not expired. The Parties hereby stipulate that Defendant Farend Services Limited's response to the first amended complaint shall be filed and served by May 21, 2010; 2) Defendants Jesse David Willms and 1021018 Alberta Ltd., have authorized their attorney Karl Kronenberger as their agent to receive service of the summons and first amended complaint on their behalf for the case Dazzlesmile et al. v. Epic Advertising, Inc. et al. (Case No. 2:09-cv-01043-PMW) only. On May 4, 2010, Karl Kronenberger accepted service of the summons and the first amended complaint for Defendants Jesse David Willms and 1021018 Alberta Ltd. The time for Defendants Jesse David Willms and 1021018 Alberta Ltd. to file a responsive pleading has not expired. The parties agree that Defendants Jesse David Willms and 1021018 Alberta Ltd. will file responsive pleadings on or before May 21, 2010. IT IS SO STIPULATED. DATED: May 4, 2010 KRONENBERGER BURGOYNE, LLP By: s/Karl S. Kronenberger Karl S. Kronenberger Attorneys for Defendants, JESSE DAVID WILLMS 1021018 ALBERTA LTD., and FAREND SERVICES LIMITED 2 DATED: May 4, 2010 FABIAN & CLENDENIN By: s/Jason W. Hardin Jason W. Hardin Attorneys for Plaintiffs, DAZZLESMILE, LLC AND OPTIMAL HEALTH SCIENCE, LLC 3

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