Li et al v. Amazon.com Services LLC
Filing
76
ORDER re Parties' 75 Stipulation. Amended Pleadings due by 3/31/2025. Signed by Judge John H. Chun. (MJV)
Case 2:23-cv-01975-JHC
Document 76
Filed 03/24/25
Page 1 of 3
UNITED STATES DISTRICT COURT
WESTERN DISTRICT OF WASHINGTON
ERIC LI, ANITA MEDAL, individually
and on behalf of all others similarly situated,
Case No. 2:23-cv-01975-JHC
Plaintiffs,
v.
AMAZON.COM SERVICES, LLC,
Defendant.
STIPULATION AND ORDER
WHEREAS, on January 23, 2023, Plaintiff filed the complaint in the above-entitled
proceeding; and
WHEREAS, on September 27, 2024, the Court entered an Order (Dkt. No. 58), granting in
part and denying in part Defendant’s Motion to Dismiss; and
WHEREAS, on January 21, 2025 the parties filed a Joint Status Report (Dkt. No. 69) that
proposed that all amendments to pleadings be accomplished on or before May 1, 2025; and
WHEREAS, Plaintiffs propose to file the attached proposed First Amended Complaint
adding plaintiffs Esther Yoo, Gayle Hayes and Antoinette Staniewicz and withdrawing plaintiff
Eric Li, and further conforming the complaint to the Order of the Court dated September 27, 2024,
by dismissing certain causes of action; NOW THEREFORE,
IT IS HEREBY STIPULATED AND AGREED by and between Plaintiff and Defendant,
by and through their respective undersigned attorneys, as follows:
1.
Without waiving any defense, motion, or argument, Defendant agrees that Plaintiff
may file the First Amended Complaint by March 31, 2025, subject to Court approval, or on the
date of the Court’s approval for filing the First Amended Complaint, whichever date is earlier.
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Case 2:23-cv-01975-JHC
2.
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Filed 03/24/25
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The time for Defendants to move, answer or otherwise respond to the First
Amended Complaint is extended up to thirty (30) days after filing of the Amended Complaint.
3.
For purposes of calculating Plaintiffs’ deadline for responses to discovery requests
directed to Esther Yoo, Gayle Hayes and Antoinette Staniewicz, Plaintiffs agree to treat such
requests as served as of the date they were provided to Plaintiffs’ counsel, March 14, 2025.
4.
Except for matters expressly addressed herein, all of the rights of the parties are
expressly preserved.
Dated: March 21, 2025
BOIES SCHILLER FLEXNER LLP
PERKINS COIE
By: /s/ George F. Carpinello
George F. Carpinello
Adam R. Shaw
30 South Pearl Street, 12 Floor
Albany, NY 12207
Telephone: (518) 434-0600
gcarpinello@bsfllp.com
ashaw@bsfllp.com
By: /s/ Charles C. Sipos
Charles C. Sipos (WSBA No. 32825)
Lauren Tsuji (WSBA No. 55839)
Kyle Cole (WSBA No. 58111)
1201 Third Avenue, Suite 4900
Seattle, WA 98101-3099
Telephone: (206) 359-3983
CSipos@perkinscoie.com
LTsuji@perkinscoie.com
KCole@perkinscoie.com
JUST FOOD LAW PLLC
By: /s/ Maia Kats
Maia Kats
5335 Wisconsin Avenue, NW, Ste. 440
Washington, DC 20015
Telephone: (202) 243-7910
maiakats@justfoodlaw.com
Counsel for Defendant
ALLEN, HANSEN, MAYBROWN
& OFFENBECHER, P.S.
By: /s/ Todd Maybrown
Todd Maybrown, Bar No. 18557
600 University Street, Ste. 320
Seattle, WA 98101
Telephone: (206) 447-9681
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Case 2:23-cv-01975-JHC
Document 76
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Todd@ahmlawyers.com
Counsel for Plaintiffs
ORDER
IT IS SO ORDERED.
Dated this 23rd day of March, 2025.
_____________________________________
JOHN H. CHUN
UNITED STATES DISTRICT JUDGE
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