Wilson v. PTT, LLC

Filing 220

STIPULATION AND ORDER re Parties' 219 Stipulation to Extend Case Deadlines. Trial Length: 5 Days. Jury Trial is set for 1/8/2024 before Judge Robert S. Lasnik. Expert Witness Disclosure/Reports under FRCP 26(a)(2) due by 7/5/2023, Di scovery completed by 9/5/2023, Attorney settlement conference to be held by 9/18/2023, Dispositive motions due by 10/2/2023, Motions in Limine due by 12/4/2023, Pretrial Order due by 12/19/2023, Voir dire/jury instructions/trial briefs due by 1/3/2024. Signed by Judge Robert S. Lasnik. (LH)

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1 2 3 4 5 UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE 6 7 8 9 RICK LARSEN, individually and on behalf of all others similarly situated, 12 13 STIPULATION AND ORDER TO EXTEND CASE DEADLINES Plaintiff, 10 11 No. 18-cv-05275-RSL v. PTT, LLC, a Delaware limited liability company, d/b/a HIGH 5 GAMES, LLC, a Delaware limited liability company, Defendant. 14 15 16 17 18 19 20 21 22 23 24 STIPULATION Plaintiff Rick Larsen and Defendant PTT, LLC (“High 5”) (together, the “Parties”), by and through their counsel, hereby stipulate and move the Court for an extension of deadlines as set forth below: 1. Under the current case schedule, fact discovery is set to close on June 4, 2023, and dispositive motions are due to be filed by July 4, 2023. See Dkt. #195. 2. Over the past few months, the Parties have re-engaged in settlement talks, exchanging emails and phone calls regarding potential resolutions. Those efforts are continuing. 25 26 27 STIP. TO EXTEND DEADLINES Case No. 18-cv-05275-RSL i E DELSON PC 350 N LaSalle Drive, 14th Floor, Chicago, IL 60654 Tel: 312.589.6370 • Fax: 312.589.6378 1 3. In order to give the Parties time to pursue these settlement efforts prior to 2 important case deadlines, the Parties have agreed to stipulate—subject to the Court’s approval— 3 to a 90-day extension of all upcoming case deadlines. 4 4. The Parties previously agreed that neither Party would object on timeliness 5 grounds to expert reports disclosed by June 4, 2023, so the Parties seek an extension of that 6 deadline as well. 7 5. 8 Therefore, the Parties jointly request that the Court extend the expert disclosure deadline and all other upcoming deadlines by 90 days and enter the attached Proposed Order. 9 10 IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD. 11 DATED this 17th day of May, 2023. 12 EDELSON PC By: /s/ Todd Logan Rafey S. Balabanian* rbalabanian@edelson.com Todd Logan* tlogan@edelson.com Brandt Silver-Korn* bsilverkorn@edelson.com EDELSON PC 123 Townsend Street, Suite 100 San Francisco, California 94107 Tel: 415.212.9300 / Fax: 415.373.9435 13 14 15 16 17 18 19 20 21 22 23 24 25 By: /s/ Alexander G. Tievsky Jay Edelson* jedelson@edelson.com Alexander G. Tievsky, WSBA #57125 atievsky@edelson.com Amy B. Hausmann* abhausmann@edelson.com EDELSON PC 350 N LaSalle Street, 14th Floor Chicago, IL 60654 Tel: 312.589.6370 / Fax: 312.589.6378 26 27 STIP. TO EXTEND DEADLINES Case No. 18-cv-05275-RSL 2 E DELSON PC 350 N LaSalle Drive, 14th Floor, Chicago, IL 60654 Tel: 312.589.6370 • Fax: 312.589.6378 1 2 3 4 5 6 By: /s/ Cecily C. Jordan Cecily C. Jordan, WSBA #50061 cshiel@tousley.com TOUSLEY BRAIN STEPHENS PLLC 1200 5th Avenue, Suite 1700 Seattle, Washington 98101 Tel: 206.682.5600 Class Counsel and Attorneys for Plaintiff Larsen *Admitted pro hac vice 7 8 9 10 11 12 13 14 15 16 17 18 HOLLAND & HART LLP By: /s/ Teague I. Donahey Erik F. Stidham * efstidham@hollandhart.com Teague I. Donahey* tidonahey@hollandhart.com Holland & Hart LLP 800 W. Main Street, Suite 1750 Boise, ID 83702 Tel: (208) 342-5000 / Fax: (208 343-8869 Robert C. Ryan* rcryan@hollandhart.com Holland & Hart LLP 5441 Kietzke Lane Reno, NV 89511 Tel: (775) 327-3000 / Fax: (775) 786-6179 23 By: /s/ Mark Rosencrantz Christopher A. Wright, WSBA #26601 wright@carneylaw.com Mark Rosencrantz, WSBA #26552 rosencrantz@carneylaw.com CARNEY BADLEY SPELLMAN, P.S. 701 Fifth Avenue, Suite 3600 Seattle, WA 98104 Tel: (206) 622-8020 / Fax: (206) 467-8215 24 Attorneys for Defendant 19 20 21 22 25 *Admitted pro hac vice 26 27 STIP. TO EXTEND DEADLINES Case No. 18-cv-05275-RSL 3 E DELSON PC 350 N LaSalle Drive, 14th Floor, Chicago, IL 60654 Tel: 312.589.6370 • Fax: 312.589.6378 ORDER 1 2 3 4 5 6 7 8 The Parties’ stipulated motion is GRANTED. The schedule set forth at Dkt. #195 is hereby AMENDED as follows: TRIAL DATE January 8, 2024 Reports from expert witnesses under FRCP 26(a)(2) due July 5, 2023 All motions related to discovery must be noted on the motion calendar no later than the Friday before discovery closes pursuant to LCR 7(d) or LCR 37(a)(2) Discovery completed by September 5, 2023 10 Settlement conference held no later than September 18, 2023 11 All dispositive motions must be filed by and noted on the motion calendar no later than the fourth Friday thereafter (see LCR 7(d)(3)) October 2, 2023 All motions in limine must be filed by and noted on the motion calendar no earlier than the second Friday thereafter. Replies will be accepted. December 4, 2023 16 Agreed pretrial order due December 19, 2023 17 Pretrial conference to be scheduled by the Court 18 Trial briefs, proposed voir dire questions, proposed jury instructions, and trial exhibits due January 3, 2024 Length of Trial: Jury 9 12 13 14 15 19 20 5 days 21 22 23 IT IS SO ORDERED. Dated this 19th day of May, 2023. 24 25 Robert S. Lasnik United States District Judge 26 27 ORDER GRANTING STIP. TO EXTEND DEADLINES Case No. 18-cv-05275-RSL 1 E DELSON PC 350 N LaSalle Drive, 14th Floor, Chicago, IL 60654 Tel: 312.589.6370 • Fax: 312.589.6378

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