Filed: Feb. 14, 2020
Latest Update: Feb. 14, 2020
Summary: STIPULATION AND ORDER RE: BRIEFING SCHEDULE MORRISON C. ENGLAND, JR. , District Judge . WHEREAS, Defendant Exactacator's Motion to Dismiss Claims 11 & 13 of the First Amended Complaint ("Motion") (ECF #40) was initially both set for hearing on February 20, 2020. WHEREAS, by Amended Minute Order on January 15, 2020 (ECF #42), the Court on its own motion and pursuant to Local Rule 230(g), vacated the hearing date and ordered the matters submitted without appearance and argument. WHEREAS bec
Summary: STIPULATION AND ORDER RE: BRIEFING SCHEDULE MORRISON C. ENGLAND, JR. , District Judge . WHEREAS, Defendant Exactacator's Motion to Dismiss Claims 11 & 13 of the First Amended Complaint ("Motion") (ECF #40) was initially both set for hearing on February 20, 2020. WHEREAS, by Amended Minute Order on January 15, 2020 (ECF #42), the Court on its own motion and pursuant to Local Rule 230(g), vacated the hearing date and ordered the matters submitted without appearance and argument. WHEREAS beca..
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STIPULATION AND ORDER RE: BRIEFING SCHEDULE
MORRISON C. ENGLAND, JR., District Judge.
WHEREAS, Defendant Exactacator's Motion to Dismiss Claims 11 & 13 of the First Amended Complaint ("Motion") (ECF #40) was initially both set for hearing on February 20, 2020.
WHEREAS, by Amended Minute Order on January 15, 2020 (ECF #42), the Court on its own motion and pursuant to Local Rule 230(g), vacated the hearing date and ordered the matters submitted without appearance and argument.
WHEREAS because of the schedules of counsel and the efforts of counsel to meet and confer to narrow the issues to be determined by the Court, the parties, through their counsel, hereby stipulate:
1. Plaintiff David Lynch shall file a Request for Dismissal without prejudice of the 13th Claim for Relief (Defamation), the only claim for which he is a Plaintiff;
2. Plaintiff Innovative Bowling Products will file on Wednesday February 12, 2020 its opposition to the Motion as to the 11th Claim for Relief (Accounting);
3. Defendants will file their Reply on February 28, 2020. Defendants shall then notify the Court that the briefing on the motion is complete.
SO STIPULATED.
DATED: February 11, 2020 STEYER LOWENTHAL BOODROOKAS ALVAREZ
& SMITH LLP
By: /s/Andrew A. August
Andrew A. August
Kevin F. Rooney
Attorneys for Plaintiffs and Counter-Defendants
INNOVATIVE BOWLING PRODUCTS, LLC, JOHN
JAMESON, DAVID LYNCH.
DATED: February 11, 2020 ARNOLD & PORTER KAYE SCHOLER LLP
By: /s/Patrick Hall
(as authorized on 02/11/20)
Jonathan Hughes, SBN 186829
Patrick B. Hall, admitted pro hac vice
ARNOLD & PORTER KAYE SCHOLER LLP
3 Embarcadero Center, Floor 10th
San Francisco, CA 94111-4075
Telephone: (415) 471-3156
Facsimile: (415) 471-3400
Email: jonathan.hughes@arnoldporter.com
Email: Patrick.Hall@arnoldporter.com
John L. Cammack, SBN 59202
MICHAEL & CAMMACK
3247 W. March Lane, Suite 120
Stockton, CA 95219-2334
Telephone: (209) 473-8787
Facsimile: (209) 473-8794
Email: jcammack@michaelandcammack.com
Attorneys for Defendant Exactacator, Inc.
ORDER
Pursuant to the parties' stipulation, Plaintiffs' oppositions to the Motions shall be filed and served on or before February 12, 2020; Defendant's reply shall be filed and served on or before February 28, 2020; and, the parties shall advise the court when all briefing on the Motions is completed.
IT IS SO ORDERED.