Filed: Jul. 18, 2019
Latest Update: Jul. 18, 2019
Summary: JOINT STIPULATION AND [ PROPOSED ] ORDER EXTENDING TIME JON S. TIGAR , District Judge . Plaintiffs Rearden LLC and Rearden MOVA LLC ("Plaintiffs") and Defendant Crystal Dynamics, Inc., by and through their counsel of record, stipulate as follows: WHEREAS, on July 12, 2019, the Court entered an order granting in part and denying in part Crystal Dynamics's Renewed Motion for Summary Judgment (D.I. 194) ("MSJ Order"); WHEREAS, in the MSJ Order, the Court set certain deadlines for the p
Summary: JOINT STIPULATION AND [ PROPOSED ] ORDER EXTENDING TIME JON S. TIGAR , District Judge . Plaintiffs Rearden LLC and Rearden MOVA LLC ("Plaintiffs") and Defendant Crystal Dynamics, Inc., by and through their counsel of record, stipulate as follows: WHEREAS, on July 12, 2019, the Court entered an order granting in part and denying in part Crystal Dynamics's Renewed Motion for Summary Judgment (D.I. 194) ("MSJ Order"); WHEREAS, in the MSJ Order, the Court set certain deadlines for the pa..
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JOINT STIPULATION AND [PROPOSED] ORDER EXTENDING TIME
JON S. TIGAR, District Judge.
Plaintiffs Rearden LLC and Rearden MOVA LLC ("Plaintiffs") and Defendant Crystal Dynamics, Inc., by and through their counsel of record, stipulate as follows:
WHEREAS, on July 12, 2019, the Court entered an order granting in part and denying in part Crystal Dynamics's Renewed Motion for Summary Judgment (D.I. 194) ("MSJ Order");
WHEREAS, in the MSJ Order, the Court set certain deadlines for the parties to comply, which will require coordination with affected third parties;
WHEREAS, the Court previously ordered that once the MSJ Order issued, the parties would promptly contact the Court's clerk and schedule a further case management conference (D.I. 103);
WHEREAS, the parties need additional time to digest the MSJ Order and meet and confer on next steps; and
WHEREAS, counsel for both parties are scheduled to be out of the office collectively from Wednesday, July 17, 2019 until Monday July 22, 2019.
NOW THEREFORE, for good cause, the parties stipulate as follows: The parties shall meet and confer and complete the following by August 16, 2019 (1) submit to the Court, as noted in footnote 2 of the MSJ order, a stipulated proposed redacted version of the order or forego redaction altogether; and (2) present any agreements, disputes, or proposals to the Court concerning whether the incorporation by amendment of Rearden's theory regarding the E3 trailer, as set forth on pp. 12-13 of the MSJ Order, requires amendment of Rearden's written complaint. The parties shall further contact the Court clerk to schedule a further case management conference once the issue of amendment is resolved. Any previously ordered deadlines are modified to the extent necessary to conform to the deadlines established in the previous sentence.
IT IS SO STIPULATED, through Counsel of Record.
DATED: July 16, 2019 RIMON, P.C.
By: /s/ Karineh Khachatourian
Karineh Khachatourian
Attorney for Crystal Dynamics
DATED: July 16, 2019 HAGENS BERMAN SOBOL SHAPIRO LLP
By: /s/ Mark S. Carlson
Mark S. Carlson
Attorney for Plaintiffs
Pursuant to the foregoing stipulation, IT IS SO ORDERED.
DATED: July 18, 2019
The Honorable Jon S. Tigar
United States District Judge
CIVIL LOCAL RULE 5-1 ATTESTATION
I, Karineh Khachatourian, am the ECF user whose credentials were utilized in the electronic filing of this document. In accordance with Civil Local Rule 5-1(i)(3), I hereby attest that Mark Carlson concurred in the filing of this document.
/s/ Karineh Khachatourian
Karineh Khachatourian