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Opperman v. Path, Inc., 13-cv-00453-JST. (2016)

Court: District Court, N.D. California Number: infdco20160829784 Visitors: 10
Filed: Aug. 26, 2016
Latest Update: Aug. 26, 2016
Summary: JOINT STIPULATION AND [PROPOSED] ORDER EXTENDING TIME TO FILE DECLARATION IN SUPPORT OF ADMINISTRATIVE MOTIONS TO SEAL (ECF NOS. 798, 800, 801) THIS DOCUMENT RELATES TO CASES: Opperman v. Path, Inc., No. 13-cv-00453-JST Hernandez v. Path, Inc., No. 12-cv-1515-JST Pirozzi v. Apple, Inc., No. 12-cv-1529-JST JON S. TIGAR , District Judge . WHEREAS on August 23, 2016, Plaintiffs filed two motions for class certification (ECF Nos. 799 and 802) and related Administrative Motions to File Un
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JOINT STIPULATION AND [PROPOSED] ORDER EXTENDING TIME TO FILE DECLARATION IN SUPPORT OF ADMINISTRATIVE MOTIONS TO SEAL (ECF NOS. 798, 800, 801)

THIS DOCUMENT RELATES TO CASES:

Opperman v. Path, Inc., No. 13-cv-00453-JST

Hernandez v. Path, Inc., No. 12-cv-1515-JST

Pirozzi v. Apple, Inc., No. 12-cv-1529-JST

WHEREAS on August 23, 2016, Plaintiffs filed two motions for class certification (ECF Nos. 799 and 802) and related Administrative Motions to File Under Seal (ECF Nos. 798, 800, and 801);

WHEREAS Civil L.R. 79-5(e) requires a supporting declaration to be filed within four (4) days of the filing of an Administrative Motion to Seal;

WHEREAS, in light of the volume of materials filed, Apple requested that Plaintiffs stipulate to additional time for Apple to review the materials, determine what qualifies for sealing, and submit a supporting declaration;

WHEREAS Plaintiffs have agreed to Apple's request;

IT IS HEREBY STIPULATED by and between Plaintiffs and Defendant Apple Inc. ("Apple"), pursuant to Civil L.R. 6-2, to request that the Court grant a brief extension of four (4) days for Apple to file a declaration in support of the Administrative Motions to File Under Seal filed on August 23, 2016. Accordingly, the deadline for filing a supporting declaration is extended to September 2, 2016.

I attest that concurrence in the filing of this document has been obtained from the other signatories listed above.

DECLARATION OF ROBERT B. HAWK

I, Robert Hawk, hereby declare as follows:

I am a partner at the law firm of Hogan Lovells US LLP, counsel for Apple Inc. ("Apple") in this action. I am a member in good standing of the State Bar of California, and I am admitted to practice before this Court. I have personal knowledge of the matters stated in this declaration.

1. On August 23, 2016, Plaintiffs filed two motions for class certification (ECF Nos. 799 and 802) and related Administrative Motions to File Under Seal (ECF Nos. 798, 800, and 801).

2. On August 26, 2016, I contacted Plaintiffs' counsel Michael von Loewenfeldt to request that Plaintiffs stipulate to additional time for Apple to review the materials, determine what qualifies for sealing, and submit a supporting declaration. Mr. Loewenfeldt agreed to Apple's request for additional time.

I declare under penalty of perjury under the laws of the United States that the foregoing is true and correct.

Executed in Menlo Park, California on August 26, 2016.

[PROPOSED] ORDER

Pursuant to the stipulation of the parties and good cause appearing, the stipulation is hereby granted in this matter. Defendant Apple Inc. shall file any declaration(s) in support of the Administrative Motions to File Under Seal filed on August 23, 2016 (ECF Nos. 798, 800, and 801) no later than September 2, 2016.

PURSUANT TO STIPULATION, IT IS SO ORDERED.

Source:  Leagle

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