Elawyers Elawyers
Ohio| Change

SMITH v. TELENAV, INC., 10-cv-03942-SC. (2011)

Court: District Court, N.D. California Number: infdco20110215b06 Visitors: 9
Filed: Feb. 15, 2011
Latest Update: Feb. 15, 2011
Summary: STIPULATION AND ORDER CHANGING TIME FOR FILING LEAD PLAINTIFF'S AMENDED COMPLAINT, SETTING BRIEFING SCHEDULE ON MOTION TO DISMISS AND CONTINUING CASE MANAGEMENT CONFERENCE [AMENDED] SAMUEL CONTI, District Judge. WHEREAS, Plaintiff David Smith filed a complaint against defendants TeleNav, Inc., H.P. Jin, Douglas S. Miller, Shawn Carolan, Samuel Chen, Hon Jane Chiu, Soo Boon Koh, Joseph M. Zaelit, J.P. Morgan Securities Inc., and Deutsche Bank Securities Inc. on September 2, 2010 (Dkt. No. 1);
More

STIPULATION AND ORDER CHANGING TIME FOR FILING LEAD PLAINTIFF'S AMENDED COMPLAINT, SETTING BRIEFING SCHEDULE ON MOTION TO DISMISS AND CONTINUING CASE MANAGEMENT CONFERENCE [AMENDED]

SAMUEL CONTI, District Judge.

WHEREAS, Plaintiff David Smith filed a complaint against defendants TeleNav, Inc., H.P. Jin, Douglas S. Miller, Shawn Carolan, Samuel Chen, Hon Jane Chiu, Soo Boon Koh, Joseph M. Zaelit, J.P. Morgan Securities Inc., and Deutsche Bank Securities Inc. on September 2, 2010 (Dkt. No. 1);

WHEREAS, on October 5, 2010, the Court entered an order extending time to respond to the complaint and continuing the case management conference to June 10, 2011 (Dkt. No. 6);

WHEREAS, on November 1, 2010, plaintiff moved for appointment as lead plaintiff and the appointment of Robbins Geller Rudman & Dowd, LLP as lead counsel (Dkt. No. 11);

WHEREAS, on February 3, 2011, the Court granted plaintiff's motion for appointment as lead plaintiff and selection of lead counsel (Dkt. No. 16);

WHEREAS, the parties met and conferred and agreed, subject to the Court's approval, to the following briefing schedule:

1. Plaintiff's amended complaint shall be filed no later than March 21, 2011;

2. Defendants' motion to dismiss shall be filed no later than May 5, 2011;

3. Plaintiff's opposition to defendants' motion shall be filed no later than June 20, 2011;

4. Defendants' reply shall be filed no later than July 11, 2011;

WHEREAS, the parties request that the Court set a hearing on the motion to dismiss for July 29, 2011 or on a date thereafter which is convenient for the Court;

WHEREAS, the parties request that the Court continue the case management conference, currently set for June 10, 2011, to the same date as the hearing on defendants' motion to dismiss.

NOW THEREFORE, it is stipulated and agreed:

1. Plaintiff shall file an amended complaint no later than March 21, 2011;

2. Defendants shall file their motion to dismiss no later than May 5, 2011;

3. Plaintiff shall file its opposition to defendants' motion no later than June 20, 2011;

4. Defendants shall file their reply no later than July 11, 2011;

5. A hearing on defendants' motion to dismiss shall be set for July 29, 2011, or a date thereafter convenient for the Court;

6. The case management conference currently set for June 10, 2011, shall be continued to July 29, 2011 or to the same date as the hearing on defendants' motion to dismiss.

The parties respectfully request that the Court enter an Order approving this Stipulation.

ORDER

The hearing on Motion to Dismiss shall be heard on August 12, 2011 @ 10:00 a.m.

The Case Management Conference shall be continued to September 9, 2011 @ 10:00, a.m.

IT IS SO ORDERED.

CERTIFICATE OF SERVICE

I hereby certify that on February 15, 2011, I authorized the electronic filing of the foregoing with the Clerk of the Court using the CM/ECF system which will send notification of such filing to the e-mail addresses denoted on the attached Electronic Mail Notice List, and I hereby certify that I caused to be mailed the foregoing document or paper via the United States Postal Service to the non-CM/ECF participants indicated on the attached Manual Notice List.

I certify under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed on February 15, 2011.

Daniel J. Pfefferbaum Robbins Geller Rudman & Dowd LLP Post Montgomery Center One Montgomery Street, Suite 1800 San Francisco, CA 94104 Telephone: 415/288-4545 415/288-4534 (fax) E-mail: DPfefferbaum@rgrdlaw.com

INFORMATION FOR A CASE 3:10-CV-03942-SC

Electronic Mail Notice List

The following are those who are currently on the list to receive e-mail notices for this case.

Molly Allison Arico marico@wsgr.com • Patrick Edward Gibbs patrick.gibbs@lw.com,svdocket@lw.com,zoila.aurora@lw.com, Jennifer.Duckworth@lw.com • Caz Hashemi CHASHEMI@WSGR.COM,tbell@wsgr.com,vmendoza@wsgr.com • Tricia Lynn McCormick triciam@rgrdlaw.com,e_file_sd@rgrdlaw.com,e_file_sf@rgrdlaw.com • Daniel Jacob Pfefferbaum DPfefferbaum@rgrdlaw.com,khuang@rgrdlaw.com,erinj@rgrdlaw.com, e_file_sd@rgrdlaw.com,e_file_sf@rgrdlaw.com • Darren Jay Robbins e_file_sd@rgrdlaw.com • David Conrad Walton davew@rgrdlaw.com • Sara Terese Wickware Sara.Wickware@LW.com,svdocket@lw.com,Deborah.Peterson@lw.com • Shawn A. Williams shawnw@rgrdlaw.com,khuang@rgrdlaw. com,e_file_sd@rgrdlaw.com,e_file_sf@rgrdlaw.com

Manual Notice List

The Following is the list of attorneys who are not on the list to receive e-mail notices for this case (who therefore require manual noticing). You may wish to use your mouse to select and copy this list into your word processing program in order to create notices or labels for these recipients.

• (No manual recipients)

Source:  Leagle

Can't find what you're looking for?

Post a free question on our public forum.
Ask a Question
Search for lawyers by practice areas.
Find a Lawyer