Filed: Feb. 07, 2020
Latest Update: Feb. 07, 2020
Summary: STIPULATED REQUEST FOR ORDER CHANGING TIME; ORDER HAYWOOD S. GILLIAM, JR. , District Judge . Pursuant to Civil Local Rule 6-1(b) and 6-2, Plaintiff Steeped, Inc. ("Steeped") and Defendant NuZee, Inc. ("NuZee"), by and through their respective counsel of record, hereby stipulate as follows: WHEREAS, on November 12, 2019, Your Honor set the case deadlines in Scheduling Order (Dkt. 36); WHEREAS, on February 6, 2020, the parties attended a mediation presided over by Christopher Hockett; WHER
Summary: STIPULATED REQUEST FOR ORDER CHANGING TIME; ORDER HAYWOOD S. GILLIAM, JR. , District Judge . Pursuant to Civil Local Rule 6-1(b) and 6-2, Plaintiff Steeped, Inc. ("Steeped") and Defendant NuZee, Inc. ("NuZee"), by and through their respective counsel of record, hereby stipulate as follows: WHEREAS, on November 12, 2019, Your Honor set the case deadlines in Scheduling Order (Dkt. 36); WHEREAS, on February 6, 2020, the parties attended a mediation presided over by Christopher Hockett; WHERE..
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STIPULATED REQUEST FOR ORDER CHANGING TIME; ORDER
HAYWOOD S. GILLIAM, JR., District Judge.
Pursuant to Civil Local Rule 6-1(b) and 6-2, Plaintiff Steeped, Inc. ("Steeped") and Defendant NuZee, Inc. ("NuZee"), by and through their respective counsel of record, hereby stipulate as follows:
WHEREAS, on November 12, 2019, Your Honor set the case deadlines in Scheduling Order (Dkt. 36);
WHEREAS, on February 6, 2020, the parties attended a mediation presided over by Christopher Hockett;
WHEREAS, at the conclusion of the mediation, the parties and the mediator agreed that a thirty-day extension of all discovery deadlines would allow the parties sufficient time to further explore resolution of this matter without incurring the expenses associated with discovery compliance during this extension;
IT IS HEREBY STIPULATED by and between the Plaintiff and Defendant, through their counsel, the Case Management deadlines be extended as follows:
Event Original Date New Date
Close of Fact Discovery April 6, 2020 May 6, 2020
Exchange Opening Expert Reports April 20, 2020 May 20, 2020
Exchange Rebuttal Expert Reports May 4, 2020 June 4, 2020
Close of Expert Discovery May 22, 2020 June 22, 2020
IT IS SO STIPULATED
Dated: February 6, 2020 BRAUNHAGEY & BORDEN LLP
By: /s/ David H. Kwasniewski
David H. Kwasniewski
Attorneys for Plaintiff Steeped, Inc.
Dated: February 6, 2020 ISAACMAN, KAUFMAN, PAINTER, LOWY &
ZUCKER, P.C.
By: /s/ Michael A. Painter
Michael A. Painter
Attorneys for Defendant NuZee, Inc.
ATTESTATION OF FILER
In compliance with Civil Local Rule 5-1(i), the undersigned ECF user whose identification and credentials are being used to file this document hereby attests that all signatories have concurred and agreed to the filing of this document.
/s/ David H. Kwasniewski
David H. Kwasniewski
PURSUANT TO STIPULATION, IT IS SO ORDERED.