National Products Inc v. Scope Mounted Electronics LLC et al

Filing 16

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)

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  THE HONORABLE ROBERT S. LASNIK 1 2 3 4 5 6 7 UNITED STATES DISTRICT COURT 8 WESTERN DISTRICT OF WASHINGTON 9 AT SEATTLE 10 11 NATIONAL PRODUCTS, INC. Plaintiff 12 13 v. 14 SCOPE MOUNTED ELECTRONICS, LLC, ATTACHIT, LLC, and APPLE CREEK WHITETAILS, LLC 15 Case No. 2:17-cv-00014-RSL STIPULATED MOTION AND ORDER TO EXTEND TIME TO RESPOND TO COMPLAINT AND INITIAL SCHEDULING DATES Defendants 16 17 18 Defendants Scope Mounted Electronics, LLC, AttachIt, LLC, and Apple Creek 19 Whitetails, LLC (“Defendants”) and Plaintiff National Products, Inc. (“Plaintiff”), by and 20 through their respective counsel, jointly move as follows: 21 WHEREAS, Plaintiff filed its Complaint in this Court on January 5, 2017; 22 WHEREAS, Defendants Apple Creek Whitetails, LLC and AttachIt, LLC were served on 23 January 12, 2017, and the current deadline for their answers or responses under Rule 12(b) is 24 February 2, 2017; 25 26 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   1 2 WHEREAS, the Court set Initial Scheduling Dates in its Order dated January 9, 2017 (Dkt. No. 4) as follows: 3 Deadline for FRCP 26(f) Conference: 2/6/2017 4 Initial Disclosures Pursuant to FRCP 26(a)(1): 2/13/2017 5 Combined Joint Status Report and Discovery 6 Plan as Required by FRCP 26(f) 7 and Local Civil Rule 26(f): 8 9 10 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 11 allegations in the Complaint, and Plaintiff agrees to extend the time for all defendants to answer 12 or respond to the Complaint; 13 WHEREAS, the parties agree that additional time is needed after Defendants have 14 answered or responded to the Complaint to hold the FRCP 26(f) conference and make initial 15 disclosures pursuant to FRCP 26(a)(1); 16 STIPULATION 17 18 Therefore, the parties agree and respectfully request that the Court enter an order 19 extending the time for all defendants to answer or respond under Rule 12(b) and extending the 20 initial scheduling deadlines as follows: 21 22 1. Extend the time for Defendants to answer or respond under Rule 12(b) to March3, 2017; 23 2. Extend the deadline for the parties’ FRCP 26(f) conference to March 17, 2017; 24 3. Extend the deadline for initial disclosures pursuant to FRCP 26(a)(1) to March 24, 25 2017; and 26 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 1 required by FRCP 26(f) and Local Civil Rule 26(f) to April 3, 2017. 2 3 4 STIPULATED TO and DATED this 1st day of February, 2017. 5 6 BY: 7 /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 8 9 10 11 12 13 14 15 16 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. 17 18 19 20 21 22 23 24 25 26 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 1 2 Based on the foregoing stipulation of the parties, and good cause appearing, therefore: 3 IT IS HEREBY ORDERED THAT the deadline for Defendants to answer or respond to 4 5 Plaintiffs’ Complaint is extended until March 3, 2017. IT IS FURTHER ORDERED THAT the initial scheduling dates are extended as follows: 6 Deadline for FRCP 26(f) Conference: 3/17/2017 7 Initial Disclosures Pursuant to FRCP 26(a)(1): 3/24/2017 8 Combined Joint Status Report and Discovery Plan as Required by FRCP 26(f) and Local Civil Rule 26(f): 4/3/2017. 9 IT IS SO ORDERED. 10 DATED this 2nd day of February, 2017. 11 12 A Robert S. Lasnik 13 United States District Judge  14 Presented by: 15 16 17 18 19 20 21 22 23 24 25 /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. 26 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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