National Products Inc v. Scope Mounted Electronics LLC et al
Filing
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ORDER Granting 14 Stipulated Motion for Extension of Time to Answer, by Judge Robert S. Lasnik. Answer due date extended to 3/3/2017.FRCP 26f Conference Deadline extended to 3/17/2017, Initial Disclosure Deadline extended to 3/24/2017, Joint Status Report deadline extended to 4/3/2017. (KERR)
THE HONORABLE ROBERT S. LASNIK
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UNITED STATES DISTRICT COURT
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WESTERN DISTRICT OF WASHINGTON
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AT SEATTLE
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NATIONAL PRODUCTS, INC.
Plaintiff
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v.
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SCOPE MOUNTED ELECTRONICS,
LLC, ATTACHIT, LLC, and APPLE
CREEK WHITETAILS, LLC
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Case No. 2:17-cv-00014-RSL
STIPULATED MOTION AND ORDER TO
EXTEND TIME TO RESPOND TO
COMPLAINT AND INITIAL
SCHEDULING DATES
Defendants
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Defendants Scope Mounted Electronics, LLC, AttachIt, LLC, and Apple Creek
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Whitetails, LLC (“Defendants”) and Plaintiff National Products, Inc. (“Plaintiff”), by and
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through their respective counsel, jointly move as follows:
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WHEREAS, Plaintiff filed its Complaint in this Court on January 5, 2017;
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WHEREAS, Defendants Apple Creek Whitetails, LLC and AttachIt, LLC were served on
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January 12, 2017, and the current deadline for their answers or responses under Rule 12(b) is
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February 2, 2017;
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WHEREAS, Defendant Scope Mounted Electronics, LLC was served on January 13,
2017, and the current deadline for its answer or response under Rule 12(b) is February 3, 2017;
1 — STIPULATION AND ORDER EXTENDING TIME TO
ANSWER OR RESPOND
Case No. 2:17-cv-00014-RSL
M OHR IP L AW S OLUTIONS , P.C.
522 SW 5th Ave., Ste. 1390
Portland, OR 97204
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WHEREAS, the Court set Initial Scheduling Dates in its Order dated January 9, 2017
(Dkt. No. 4) as follows:
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Deadline for FRCP 26(f) Conference:
2/6/2017
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Initial Disclosures Pursuant to FRCP 26(a)(1):
2/13/2017
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Combined Joint Status Report and Discovery
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Plan as Required by FRCP 26(f)
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and Local Civil Rule 26(f):
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2/21/2017;
WHEREAS, the above-captioned action was subsequently reassigned to the Honorable
Robert S. Lasnik on February 1, 2017 (Dkt. No. 13);
WHEREAS, Defendants have stated that they require additional time to evaluate the
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allegations in the Complaint, and Plaintiff agrees to extend the time for all defendants to answer
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or respond to the Complaint;
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WHEREAS, the parties agree that additional time is needed after Defendants have
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answered or responded to the Complaint to hold the FRCP 26(f) conference and make initial
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disclosures pursuant to FRCP 26(a)(1);
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STIPULATION
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Therefore, the parties agree and respectfully request that the Court enter an order
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extending the time for all defendants to answer or respond under Rule 12(b) and extending the
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initial scheduling deadlines as follows:
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1. Extend the time for Defendants to answer or respond under Rule 12(b) to March3,
2017;
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2. Extend the deadline for the parties’ FRCP 26(f) conference to March 17, 2017;
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3. Extend the deadline for initial disclosures pursuant to FRCP 26(a)(1) to March 24,
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2017; and
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2 — STIPULATION AND ORDER EXTENDING TIME TO
ANSWER OR RESPOND
Case No. 2:17-cv-00014-RSL
M OHR IP L AW S OLUTIONS , P.C.
522 SW 5th Ave., Ste. 1390
Portland, OR 97204
4. Extend the deadline for the combined joint status report and discovery plan as
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required by FRCP 26(f) and Local Civil Rule 26(f) to April 3, 2017.
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STIPULATED TO and DATED this 1st day of February, 2017.
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BY:
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/s/ Matthew N. Miller
Matthew N. Miller, WSBA 48704
Email: matthew@mohriplaw.com
Mohr IP Law Solutions, P.C.
522 SW 5th Avenue, Suite 1390
Portland, OR 97204
Telephone: 503-336-1214
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Attorney for Defendants Scope Mounted
Electronics, LLC, AttachIt, LLC, and Apple
Creek Whitetails, LLC
/s/ Elizabeth B. Hagan
David K. Tellekson (WSBA No. 33523)
Email: dtellekson@fenwick.com
Ewa M. Davison (WSBA No. 39524)
Email: edavison@fenwick.com
Elizabeth B. Hagan (WSBA No. 46933)
Email: ehagan@fenwick.com
Jessica M. Kaempf (WSBA No.51666)
Email: jkaempf@fenwick.com
Fenwick & West LLP
1191 Second Avenue, 10th Floor
Seattle, WA 98101
Telephone: 206.389.4510
Facsimile: 206.389.4511
Attorneys for Plaintiff National Products,
Inc.
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3 — STIPULATION AND ORDER EXTENDING TIME TO
ANSWER OR RESPOND
Case No. 2:17-cv-00014-RSL
M OHR IP L AW S OLUTIONS , P.C.
522 SW 5th Ave., Ste. 1390
Portland, OR 97204
Order
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Based on the foregoing stipulation of the parties, and good cause appearing, therefore:
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IT IS HEREBY ORDERED THAT the deadline for Defendants to answer or respond to
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Plaintiffs’ Complaint is extended until March 3, 2017.
IT IS FURTHER ORDERED THAT the initial scheduling dates are extended as follows:
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Deadline for FRCP 26(f) Conference:
3/17/2017
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Initial Disclosures Pursuant to FRCP 26(a)(1):
3/24/2017
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Combined Joint Status Report and Discovery Plan as Required
by FRCP 26(f) and Local Civil Rule 26(f):
4/3/2017.
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IT IS SO ORDERED.
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DATED this 2nd day of February, 2017.
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A
Robert S. Lasnik
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United States District Judge
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Presented by:
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/s/ Matthew N. Miller
Matthew N. Miller, WSBA 48704
Email: matthew@mohriplaw.com
MOHR IP LAW SOLUTIONS, P.C.
522 SW 5th Avenue, Suite 1390
Portland, OR 97204
Telephone: 503-336-1214
Attorney for Defendants Scope Mounted
Electronics, LLC, AttachIt, LLC, and Apple
Creek Whitetails, LLC
/s/ Elizabeth B. Hagan
David K. Tellekson (WSBA No. 33523)
Email: dtellekson@fenwick.com
Ewa M. Davison (WSBA No. 39524)
Email: edavison@fenwick.com
Elizabeth B. Hagan (WSBA No. 46933)
Email: ehagan@fenwick.com
Jessica M. Kaempf (WSBA No. 51666)
Email: jkaempf@fenwick.com
FENWICK & WEST LLP
1191 Second Avenue, 10th Floor
Seattle, WA 98101
Telephone: 206.389.4510
Facsimile: 206.389.4511
Attorneys for Plaintiff National Products,
Inc.
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4 — STIPULATION AND ORDER EXTENDING TIME TO
ANSWER OR RESPOND
Case No. 2:17-cv-00014-RSL
M OHR IP L AW S OLUTIONS , P.C.
522 SW 5th Ave., Ste. 1390
Portland, OR 97204
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