Filed: May 17, 2019
Latest Update: May 17, 2019
Summary: STIPULATION AND ORDER TO CONTINUE CLASS-DISCOVERY CUT-OFF DATE DUE TO MEDIATION JOHN A. MENDEZ , District Judge . Plaintiff ROBIN SWAYZER ("Plaintiff") and Defendant CIRCLE K STORES, INC. ("Defendant") (collectively, the "Parties"), by and through their respective attorneys of record, hereby stipulate as follows: WHEREAS, on April 25, 2019, the Parties jointly requested that the Court continue the previously set class certification deadlines to facilitate class-wide mediation. ECF No. 15.
Summary: STIPULATION AND ORDER TO CONTINUE CLASS-DISCOVERY CUT-OFF DATE DUE TO MEDIATION JOHN A. MENDEZ , District Judge . Plaintiff ROBIN SWAYZER ("Plaintiff") and Defendant CIRCLE K STORES, INC. ("Defendant") (collectively, the "Parties"), by and through their respective attorneys of record, hereby stipulate as follows: WHEREAS, on April 25, 2019, the Parties jointly requested that the Court continue the previously set class certification deadlines to facilitate class-wide mediation. ECF No. 15. ..
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STIPULATION AND ORDER TO CONTINUE CLASS-DISCOVERY CUT-OFF DATE DUE TO MEDIATION
JOHN A. MENDEZ, District Judge.
Plaintiff ROBIN SWAYZER ("Plaintiff") and Defendant CIRCLE K STORES, INC. ("Defendant") (collectively, the "Parties"), by and through their respective attorneys of record, hereby stipulate as follows:
WHEREAS, on April 25, 2019, the Parties jointly requested that the Court continue the previously set class certification deadlines to facilitate class-wide mediation. ECF No. 15.
WHEREAS, on April 26, 2019, the Court approved the Parties' stipulation and continued Plaintiff's certification dates due to mediation as follows:
• Plaintiff's Motion for class certification to be filed no later than October 15, 2019.
• Defendant's opposition to the motion to be filed no later than December 16, 2019.
• Plaintiff's reply brief to be filed no later than January 16, 2020.
• Hearing on the motion is set for February 11, 2020. Id. at No. 16.
WHEREAS, to facilitate mediation, the Parties request to continue the previously agreed-upon class-discovery cut-off date to January 16, 2020.
THEREFORE, the Parties, by and through their counsel of record, hereby stipulate that the class discovery cut-off date be continued to January 16, 2020, to give the Parties an opportunity to engage in mediation.
IT IS SO STIPULATED.
Dated: May 16, 2019 Respectfully submitted:
THE MARKHAM LAW FIRM
s/Maggie Realin
Maggie Realin
Attorney for Plaintiff
E-mail: mrealin@markham-law.com
Dated: May 16, 2019 Respectfully submitted:
OGLETREE, DEAKINS, NASH, SMOAK &
STEWART, P.C.
s/ Graham M. Hoerauf
Attorney for Defendant
E-mail: graham.hoerauf@ogletree.com
I hereby certify that the content of this document is acceptable to Graham M. Hoerauf, counsel for Defendant, and that I have obtained Mr. Hoerauf's authorization to affix his electronic signature to this document.
Dated: May 16, 2019 THE MARKHAM LAW FIRM
s/ Maggie Realin
Maggie Realin
Attorney for Plaintiff
E-mail: mrealin@markham-law.com
PURSUANT TO STIPULATION, IT IS ORDERED that:
• Class discovery cut-off date is continued to January 16, 2020.