Filed: Jul. 02, 2019
Latest Update: Jul. 02, 2019
Summary: STIPULATED MOTION AND ORDER EXTENDING DEADLINE FOR WSU'S RESPONSE TO MOTION FOR RECONSIDERATION RICARDO S. MARTINEZ , Chief District Judge . Plaintiff Phytelligence, Inc. ("Phytelligence") and Defendant Washington State University ("WSU"), by and through their counsel of record, state and stipulate as follows: BACKGROUND 1. The Court entered a Minute Order on June 28, 2019 (Dkt. 107) directing WSU to file a response to Phytelligence's Motion for Reconsideration (Dkt. 102) within ten days
Summary: STIPULATED MOTION AND ORDER EXTENDING DEADLINE FOR WSU'S RESPONSE TO MOTION FOR RECONSIDERATION RICARDO S. MARTINEZ , Chief District Judge . Plaintiff Phytelligence, Inc. ("Phytelligence") and Defendant Washington State University ("WSU"), by and through their counsel of record, state and stipulate as follows: BACKGROUND 1. The Court entered a Minute Order on June 28, 2019 (Dkt. 107) directing WSU to file a response to Phytelligence's Motion for Reconsideration (Dkt. 102) within ten days o..
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STIPULATED MOTION AND ORDER EXTENDING DEADLINE FOR WSU'S RESPONSE TO MOTION FOR RECONSIDERATION
RICARDO S. MARTINEZ, Chief District Judge.
Plaintiff Phytelligence, Inc. ("Phytelligence") and Defendant Washington State University ("WSU"), by and through their counsel of record, state and stipulate as follows:
BACKGROUND
1. The Court entered a Minute Order on June 28, 2019 (Dkt. 107) directing WSU to file a response to Phytelligence's Motion for Reconsideration (Dkt. 102) within ten days of entry of the Minute Order, i.e. by July 8, 2019.
2. To accommodate the schedules of its counsel, WSU requests a one-week extension of the deadline for filing a response to the Motion for Reconsideration, to July 15, 2019. WSU's attorney Rebecca Francis will be on vacation with her family from June 29 through July 6, 2019, and WSU's attorney Stuart Dunwoody will be out of town for the Fourth of July holiday from July 3 through July 7, 2019.
STIPULATED MOTION
Based on the above background, the parties stipulate and respectfully request that the Court order as follows:
1. WSU shall file and serve its response to Phytelligence's Motion for Reconsideration by no later than July 15, 2019.
DATED this 1st day of July, 2019.
Wilson Sonsini Goodrich & Rosati Davis Wright Tremaine LLP
Attorneys for Plaintiff Phytelligence, Inc. Attorneys for Defendant Washington
State University
By: s/Barry M. Kaplan
Barry M. Kaplan, WSBA #8661 By: s/Stuart R. Dunwoody
Chris Petroni, WSBA #46966 Stuart R. Dunwoody, WSBA #13948
701 Fifth Avenue, Suite 500 Rebecca J. Francis, WSBA #41196
Seattle, WA 98104 Rachel H. Herd, WSBA #50339
Tel: 206-883-2500 920 Fifth Avenue, Suite 3300
Fax: 206-883-2699 Seattle, WA 98104-1610
Email: bkaplan@wsgr.com Tel: 206-622-3150
Email: cpetroni@wsgr.com Fax: 206-757-7034
Email: stuartdunwoody@dwt.com
Colleen Bal (pro hac vice) Email: rebeccafrancis@dwt.com
John P. Flynn (pro hac vice) Email: rachelherd@dwt.com
Max T. Selfridge (pro hac vice)
One Market Street
Spear Tower, Suite 3300
San Francisco, CA 94105
Tel: 415-947-2000
Fax: 415-947-2099
Email: cbal@wsgr.com
Email: jflynn@wsgr.com
Email: mselfridge@wsgr.com
Sara L. Tolbert (pro hac vice)
650 Page Mill Road
Palo Alto, CA 94304
Tel: 650-493-9300
Fax: 650-493-6811
Email: stolbert@wsgr.com
PURSUANT TO STIPULATION, IT IS SO ORDERED.