BioPure Healing Products, LLC v. WellNX Life Sciences, Inc
Filing
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STIPULATION AND ORDER for Extension of Time to File Objections re parties' 51 Stipulated Motion; reset deadlines as to 49 REPORT AND RECOMMENDATIONS : Objections to R&R due by 7/28/2017, signed by Judge Robert S. Lasnik. (SWT)
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UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF WASHINGTON
AT SEATTLE
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BIOPURE HEALING PRODUCTS, LLC, )
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Plaintiff,
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v.
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WELLNX LIFE SCIENCES, INC., et al., )
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Defendants.
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___________________________________ )
STIPULATED MOTION AND
ORDER FOR EXTENSION
OF TIME TO FILE OBJECTIONS
NOTE ON MOTION CALENDAR:
JULY 18, 2017
STIPULATION
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CASE NO. CV17-00470 RSL
Pursuant to Local Rules 7(d)(1), 7(j), and 10(g) for civil proceedings before the United
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States District Court for the Western District of Washington, the parties, through their
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undersigned counsel of record, hereby stipulate and agree to the entry of an order extending the
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deadline for Defendant WellNX Life Sciences, Inc. and Defendant Platinum US Distribution,
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Inc. d/b/a WellNX Life Sciences, USA’s (collectively, “Defendants” or “WellNX”) filing of
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objections to Chief Magistrate Judge James P. Donohue’s Report and Recommendation (Docket
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Entry No. 49) by one (1) week (i.e., from the currently scheduled date of July 21, 2017 to July
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28, 2017). The foregoing request is made due to the fact that the parties are discussing
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settlement and key decision-makers for Defendants are out of the office, and unreachable, this
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week. In the event settlement terms are not agreed to and Defendants file objections by July 28,
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2017, the parties further agree that Plaintiff BioPure Healing Products, LLC shall still have
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STIPULATED MOTION AND ORDER
(Case No. CV17-00470 RSL) - 1
Stephen J. Kennedy
Attorney at Law
18214 13th Place W.
Lynnwood, WA 98037
(206) 484-1310
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fourteen (14) days after service of Defendants’ objections to file a response to such objections.
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Dated: July 18, 2017
Respectfully submitted,
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SEED INTELLECTUAL PROPERTY
LAW GROUP LLP
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BY: /s/ Stephen J. Kennedy
Stephen J. Kennedy, WSBA #16341
stevekennedy3161@gmail.com
18214 13th Place West
Lynnwood, WA 98037
Telephone: 206-484-1310
Attorney for Defendants
BY: /s/ Marc C. Levy__________
Marc C. Levy, WSBA #19203
marcl@seedip.com
701 Fifth Avenue, Suite 5400
Seattle, WA 98104
Telephone: 206-622-4900
Attorney for Plaintiff
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EPSTEIN DRANGEL LLP
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BY: /s/ Jason M. Drangel
Jason M. Drangel (JD 7204)
jdrangel@ipcounselors.com
60 East 42nd Street, Suite 2520
New York, NY 10165
Telephone: 212-292-5390
Facsimile: 212-292-5391
Attorney for Defendants, Pro Hac Vice
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STIPULATED MOTION AND ORDER
(Case No. CV17-00470 RSL) - 2
Stephen J. Kennedy
Attorney at Law
18214 13th Place W.
Lynnwood, WA 98037
(206) 484-1310
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ORDER
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IT IS SO ORDERED.
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DATED this 19th day of July, 2017.
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A
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Honorable Robert S. Lasnik
United States District Judge
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STIPULATED MOTION AND ORDER
(Case No. CV17-00470 RSL) - 3
Stephen J. Kennedy
Attorney at Law
18214 13th Place W.
Lynnwood, WA 98037
(206) 484-1310
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