Electronic Scripting Products Inc v. Jones Soda Co et al

Filing 17

ORDER granting Defendants' 16 Second Stipulated MOTION for Extension of Time to Answer Complaint; Defendants' response to Plaintiff's Complaint shall be due on or before 12/10/2023. Signed by Judge Tana Lin. (MJV)

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1 HON. TANA LIN 2 3 4 5 UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF WASHINGTON AT SEATTLE 6 7 8 ELECTRONIC SCRIPTING PRODUCTS, INC. 9 12 v. JONES SODA CO. and JONES SODA CO. (USA) INC., 13 15 17 18 19 20 21 22 23 24 25 26 NOTING DATE: November 13, 2023 Defendants. 14 16 SECOND STIPULATED MOTION FOR EXTENSION OF TIME TO ANSWER COMPLAINT AND (PROPOSED) ORDER Plaintiff, 10 11 CASE NO. 23-cv-1344-TL Stipulation Pursuant to LCR 7(d)(1), Plaintiff Electronic Scripting Products, Inc. (“Plaintiff”) and Defendants Jones Soda Co. and Jones Soda Co. (USA) Inc. (“Defendants”), by and through their undersigned counsel of record, jointly stipulate and agree as follows: 1. Plaintiff filed the Complaint in this action on August 30, 2023; 2. Plaintiff served the Complaint on Defendants on September 20, 2023; 3. In accordance with Fed. R. Civ. P. 12(a)(1)(A), Defendants’ response to the Complaint initially was due by October 11, 2023 (the “Answer Deadline”); 4. On October 9, 2023, the Parties submitted their first Stipulated Motion for Extension of Time to Answer Complaint (Dkt. #10), which was granted by the Honorable Brian A. Tsuchida on October 10, 2023, extending the Answer Deadline to November 10, 2023. 2ND STIPULATED MOTION FOR EXTENSION OF TIME AND (PROPOSED) ORDER - 1 CASE NO. 23-cv-1344-TL SUMMIT LAW GROUP, PLLC 315 FIFTH AVENUE SOUTH, SUITE 1000 SEATTLE, WASHINGTON 98104-2682 Telephone: (206) 676-7000 Fax: (206) 676-7001 1 5. The Parties have agreed to a further 30-day extension of the Answer Deadline to 2 allow the Parties an additional opportunity to explore the possibility of settlement, such that 3 Defendants’ response to the Complaint will be due on or before December 10, 2023; and 4 5 6 6. No Party will be prejudiced by the above deadline, and this motion is not made for the purpose of delay or any other improper purpose. DATED this 10th day of November, 2023. 7 SUMMIT LAW GROUP, PLLC Attorneys for Defendants 8 9 By s/ Christopher T. Wion Christopher T. Wion, WSBA #33207 chrisw@summitlaw.com 315 5th Ave. S., Ste. 1000 Seattle, WA 98104 Tel: (206) 676-7000 10 11 12 13 BANIE & ISHIMOTO LLP Attorneys for Plaintiff Electronic Scripting Products, Inc. 14 15 By s/ John A. Lee (per email authorization) John A. Lee, WSBA #35550 jlee@banishlaw.com 2100 Geng Road., Ste. 210 Palo Alto, CA 94403 Tel: (650) 241-2774 16 17 18 19 20 21 22 23 24 (Proposed) Order IT IS SO ORDERED. Defendants’ response to Plaintiff’s Complaint shall be due on or before December 10, 2023. DATED: November 14, 2023 25 A Tana Lin United States District Judge 26 2ND STIPULATED MOTION FOR EXTENSION OF TIME AND (PROPOSED) ORDER - 2 CASE NO. 23-cv-1344-TL SUMMIT LAW GROUP, PLLC 315 FIFTH AVENUE SOUTH, SUITE 1000 SEATTLE, WASHINGTON 98104-2682 Telephone: (206) 676-7000 Fax: (206) 676-7001

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