Hart et al v. CF Arcis VII LLC et al

Filing 22

STIPULATION AND ORDER EXTENDING MOTION DEADLINES re: 20 Motion to Dismiss. Plaintiffs' Response due 6/29/2018; Defendants' Reply due 7/12/2018; the 20 MOTION to Dismiss for Failure to State a Claim Under Fed. R. Civ. P. 12(b)(6) is re-noted for 7/13/2018. Signed by Judge Ricardo S Martinez. (PM)

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1 2 3 4 5 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 6 7 8 9 LAWRENCE HART, CLYDE STEPHEN LEWIS, JAMES PRESTI, and MICHAEL RALLS, individual and on behalf of all others similarly situated, 10 11 12 13 Plaintiff, No. C17-01932-RSM STIPULATION AND ORDER EXTENDING MOTION DEADLINES v. CF ARCIS VII LLC d/b/a THE CLUB AT SNOQUALMIE RIDGE, d/b/a TPC AT SNOQUALMIE RIDGE, and d/b/a SNOQUALMIE RIDGE GOLF CLUB, et al., 14 Defendants. 15 16 Plaintiffs and Defendants CF Arcis VII LLC, CF Arcis IV Holdings, LLC, Arcis Equity 17 Partners, LLC, and Blake Walker (the “Arcis Defendants”), by and through their counsel, 18 stipulate and agree as follows: 19 1. On February 5, 2018, the Court, upon the parties’ stipulation, entered an order 20 extending various deadlines on the Arcis Defendants’ then-pending Motion to Dismiss, the 21 Rule 26(f) conference, Initial Disclosures, and the Joint Status Report, as well as a deadline for 22 Plaintiffs to file any amended complaint. Dkt. 15. 23 2. On March 27, 2018, the Court, upon the parties’ stipulation and representation 24 that they were focused on informal resolution discussions, entered a second order extending 25 deadlines regarding the filing of a Second Amended Complaint, the Rule 26(f) conference, 26 Initial Disclosures, and the Joint Status Report, as well as a deadline for the Arcis Defendants’ 27 STIPULATION & ORDER RE EXTENDING CASE DEADLINES (C17-01932-RSM) - 1 Davis Wright Tremaine LLP L AW O FFICE S 1201 Third Avenue, Suite 2200 Seattle, WA 98101-3045 206.622.3150 main · 206.757.7700 fax 1 Response to the Second Amended Complaint. Dkt. 17. The informal resolution discussions 2 did not result in settlement. 3. 3 Since then, Plaintiffs filed a Second Amended Complaint [Dkt. 18], and the 4 parties held their Rule 26(f) conference, exchanged Initial Disclosures, and filed a Joint Status 5 Report [Dkt. 19]. Additionally, the Arcis Defendants filed a renewed Motion to Dismiss [Dkt. 6 20]. 7 4. Since then, the parties have renewed informal resolution discussions. These 8 discussions are ongoing, and the parties require additional time to consider whether they will be 9 able to resolve this dispute. As a result, the parties stipulate and agree to ask the Court to strike 10 the noting date for the pending Motion to Dismiss, and to extend remaining deadlines as 11 follows: 12 13 14 15 16 17 18 EVENT EXISTING DEADLINE NEW DEADLINE Plaintiffs’ Response to Motion to Dismiss Monday, June 4, 2018 Friday, June 29, 2018 Defendants’ Reply in Support of Motion to Dismiss Friday, June 8, 2018 Thursday, July 12, 2018 Noting Date of Motion to Dismiss Friday, June 8, 2018 Friday, July 13, 2018 19 20 21 22 23 24 25 26 27 STIPULATION & ORDER RE EXTENDING CASE DEADLINES (C17-01932-RSM) - 2 Davis Wright Tremaine LLP L AW O FFICE S 1201 Third Avenue, Suite 2200 Seattle, WA 98101-3045 206.622.3150 main · 206.757.7700 fax 1 IT IS SO STIPULATED. 2 DATED this 31st day of May, 2018. Davis Wright Tremaine LLP Attorneys for the Arcis Defendants 3 4 By s/ Rebecca J. Francis Stephen M. Rummage, WSBA #11168 Rebecca J. Francis, WSBA #41196 1201 Third Avenue, Suite 2200 Seattle, Washington 98101-3045 Phone: (206) 622-3150; Fax: (206) 757-7700 E-mail: steverummage@dwt.com E-mail: rebeccafrancis@dwt.com 5 6 7 8 9 Terrell Marshall Law Group PLLC Attorneys for Plaintiffs 10 11 By s/ Adrienne D. McEntee Beth E. Terrell, WSBA #26759 Adrienne D. McEntee, WSBA #34061 936 North 34th Street, Suite 300 Seattle, Washington 98103 Telephone: (206) 816-6603 Fax: (206) 319-5450 E-mail: bterrell@terrellmarshall.com E-mail: amcentee@terrellmarshall.com 12 13 14 15 16 17 18 19 20 ORDER Based on the foregoing Stipulation, the Court ORDERS that the case deadlines shall be adjusted as stated above. DATED this 1st day of June, 2018. 21 22 23 A 24 RICARDO S. MARTINEZ CHIEF UNITED STATES DISTRICT JUDGE 25 26 27 STIPULATION & ORDER RE EXTENDING CASE DEADLINES (C17-01932-RSM) - 3 Davis Wright Tremaine LLP L AW O FFICE S 1201 Third Avenue, Suite 2200 Seattle, WA 98101-3045 206.622.3150 main · 206.757.7700 fax

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