WILLIAM H. ORRICK, District Judge.
Direct Purchaser Plaintiffs and Indirect Purchaser Plaintiffs (collectively "Plaintiffs") as well as Defendants Ottogi America, Inc., Ottogi Company, Ltd., Nongshim America, Inc., and Nongshim Co., Ltd. (collectively "Defendants"), by and through their respective counsel of record, respectfully submit this Stipulation and Proposed Order to Continue to April 5, 2017 the Hearing on Direct Purchaser Plaintiffs' Motion to Bifurcate Trial.
WHEREAS, Direct Purchaser Plaintiffs filed a Motion to Bifurcate Trial on February 21, 2017 (Dkt. 524).
WHEREAS, the Motion to Bifurcate Trial is currently set for hearing on March 29, 2017.
WHEREAS, counsel for Ottogi America, Inc., and Ottogi Company, Ltd., is unable to attend the hearing on March 29, 2017, due to preexisting scheduling conflicts.
WHEREAS, all counsel have conferred and are available to attend a hearing on the Court's next law and motion calendar after the initially noticed hearing date, on April 5, 2017.
NOW, THEREFORE, the parties, by and through their respective undersigned counsel, here-by stipulate as follows: The hearing on Direct Purchaser Plaintiffs' Motion to Bifurcate Trial (Dkt. 524) shall be continued to April 5, 2017, at 2:00 p.m. in Courtroom 2 on the 17th Floor of 450 Golden Gate Avenue, San Francisco, CA 94102.
I hereby attest that I have on file written authorization for any signatures indicated by a "con-formed" signature (/s/) within this e-filed document.
Pursuant to stipulation and good cause appearing, IT IS SO ORDERED.