Washington Shoe Company v. A-Z Sporting Goods Inc

Filing 127

STIPULATION AND ORDER by Judge Robert S. Lasnik. Plaintiff's Motion for Taxable Costs (Dkt. # 120 ) is renoted for April 5, 2013, response ddl 3/27/2013. (CL)

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1 The Hon. Robert S. Lasnik 2 3 4 5 6 7 8 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 9 10 11 WASHINGTON SHOE CO.; CAUSE NO.: 2:09-cv-01042-RSL 12 Plaintiff STIPULATION AND ORDER RENOTING AND EXTENDING DEFENDANT’S DEADLINE TO RESPOND TO PLAINTIFF’S MOTION FOR TAXABLE COSTS (Dkt. #120) 13 14 15 v. A-Z SPORTING GOODS, INC.; Defendant. 16 Noted for Consideration: March 11, 2013 17 18 STIPULATION 19 20 Defendant, A-Z Sporting Goods, Inc. (“A-Z”) and plaintiff, Washington Shoe 21 Company (“Washington Shoe”) (collectively referred to as the “Parties”) hereby 22 stipulate to the following: 23 24 25 WHEREAS on March 8, 2013, the Parties telephonically met and conferred regarding the matters set forth below. WHEREAS, Parties have agreed to the following: 26 LAW OFFICES STIPULATION AND ORDER EXTENDING DEFENDANT’S DEADLINE TO RESPOND TO PLAINTIFF’S MOTION FOR TAXABLE COSTS (2:09-cv-01042-RSL) Page - 1 BRESKIN JOHNSON & TOWNSEND PLLC 1111 THIRD AVENUE, SUITE 2230 SEATTLE, WASHINGTON 98101 (206) 652-8660 1 1. 2 3 WHEREAS, on March 7, 2013, Plaintiff filed a Motion for Taxable Costs & Memorandum of Points & Authorities in Support Thereof (Dkt. #120). 2. WHEREAS, as a professional courtesy and to accommodate the schedules of 4 counsel for out of state travel and motions practice, the parties have agreed to 5 renote the motion and agreed to a modified briefing schedule. 6 3. WHEREAS, the parties have agreed to a stipulated briefing schedule as follows: 7 a. Defendant may file its Opposition on or before March 27, 2013 at noon 8 b. Plaintiff may file its reply, if any, on or before April 5, 2013 9 10 4. Accordingly, the parties have agreed to stipulate to renote the Motion for Taxable Costs to April 5, 2013. 11 12 13 14 15 16 DATED this 11th day of March, 2013. /s/ Roger M. Townsend Roger M. Townsend, WSBA #25525 Breskin Johnson & Townsend PLLC 1111 3rd Ave Ste 2230 Seattle, WA 98101-3292 p. 206-652-8660 / f. 206-652-8290 rtownsend@bjtlegal.com 17 18 /s/ Timothy B. McCormack____ Timothy B. McCormack, WSBA #28074 Attorney for Plaintiff McCormack Intellectual Property Law and Business Law P.S. 617 Lee St Seattle, WA 98109 p. 206-381-8888 / f. 206-381-1988 tim@McCormackLegal.com 19 20 21 22 23 24 25 26 LAW OFFICES STIPULATION AND ORDER EXTENDING DEFENDANT’S DEADLINE TO RESPOND TO PLAINTIFF’S MOTION FOR TAXABLE COSTS (2:09-cv-01042-RSL) Page - 2 BRESKIN JOHNSON & TOWNSEND PLLC 1111 THIRD AVENUE, SUITE 2230 SEATTLE, WASHINGTON 98101 (206) 652-8660 1 2 3 4 5 6 ORDER This matter comes before the court upon stipulation by the Parties to this litigation and the court having considered the stipulation. Defendant’s deadline to file its Opposition to Plaintiff’s Motion for Taxable Costs is extended to noon March 27, 2013. Plaintiff’s Motion for Taxable Costs (Dkt. #120) is renoted for April 5, 2013. 7 8 Dated this 14th day of March, 2013. 9 10 11 A JUDGE UNITED STATES DISTRICT HONORABLE ROBERT S. LASNIK 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 LAW OFFICES STIPULATION AND ORDER EXTENDING DEFENDANT’S DEADLINE TO RESPOND TO PLAINTIFF’S MOTION FOR TAXABLE COSTS (2:09-cv-01042-RSL) Page - 3 BRESKIN JOHNSON & TOWNSEND PLLC 1111 THIRD AVENUE, SUITE 2230 SEATTLE, WASHINGTON 98101 (206) 652-8660

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