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MITCHINSON v. LOVE'S TRAVEL STOPS & COUNTRY STORES, INC., 1:15-cv-01474-DAD-BAM. (2017)

Court: District Court, E.D. California Number: infdco20170105693 Visitors: 3
Filed: Jan. 03, 2017
Latest Update: Jan. 03, 2017
Summary: STIPULATION AND ORDER SETTING FORTH THE REMAINDER SCHEDULE FOR EXECUTION OF SETTLEMENT DALE A. DROZD , District Judge . Plaintiff Ian Mitchinson and Defendants Love's Travel Stops & Country Stores, Inc., et al., (collectively, "the Parties") by and through their respective counsel of record, hereby stipulate as follows: WHEREAS, on December 22, 2016, the Court granted Plaintiff's unopposed motion for preliminary approval of class action settlement, set the Final Approval Hearing for April
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STIPULATION AND ORDER SETTING FORTH THE REMAINDER SCHEDULE FOR EXECUTION OF SETTLEMENT

Plaintiff Ian Mitchinson and Defendants Love's Travel Stops & Country Stores, Inc., et al., (collectively, "the Parties") by and through their respective counsel of record, hereby stipulate as follows:

WHEREAS, on December 22, 2016, the Court granted Plaintiff's unopposed motion for preliminary approval of class action settlement, set the Final Approval Hearing for April 18, 2017 at 9:30 a.m., and ordered Plaintiff to file his motion for final approval of class action settlement by March 21, 2017 (Dkt. No. 34);

WHEREAS, the Court ordered the Parties to file a stipulation and proposed order setting forth the remainder of their proposed schedule for execution of the Settlement (Dkt. Nos. 31 and 34);

NOW, THEREFORE, the Parties propose that the following dates shall govern for the purposes of this Settlement:

Schedule for Execution of Settlement January 9, 2017 Last day for Defendant to provide Class Data List to Claims Administrator. January 24, 2017 Last day for Claims Administrator to mail and email Notice to Class Members. March 10, 2017 Last day for requests for exclusion, and notice of objection to be submitted to Claims Administrator. February 24, 2017 Last day for Class Counsel to file Plaintiffs' Motion for Attorneys' Fees and Costs and Class Representatives' Enhancement Awards.

IT IS HEREBY STIPULATED.

I hereby certify that the content of this document is acceptable to Ryan L. Eddings, counsel for Defendants, and that I have obtained Ms. Eddings' authorization to affix his electronic signature to this document.

IT IS SO ORDERED.

Source:  Leagle

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