Filed: Mar. 21, 2019
Latest Update: Mar. 21, 2019
Summary: STIPULATION AND ORDER FOR DEFENDANTS TO RESPOND TO PLAINTIFF'S COLLECTIVE ACTION COMPLAINT (FIRST REQUEST) CARL W. HOFFMAN , Magistrate Judge . Defendants Oyster Bay Restaurant, Inc. ("Oyster Bay Restaurant") and Oyster Bay Seafood, LLC ("Oyster Bay Seafood," and collectively, "Defendants"), by and through their counsel of record, the law firm of Marquis Aurbach Coffing, and Plaintiff Oscar Vargas ("Vargas"), by and through his counsel of record, the law firm of Wolf, Rifkin, Shapiro, Sc
Summary: STIPULATION AND ORDER FOR DEFENDANTS TO RESPOND TO PLAINTIFF'S COLLECTIVE ACTION COMPLAINT (FIRST REQUEST) CARL W. HOFFMAN , Magistrate Judge . Defendants Oyster Bay Restaurant, Inc. ("Oyster Bay Restaurant") and Oyster Bay Seafood, LLC ("Oyster Bay Seafood," and collectively, "Defendants"), by and through their counsel of record, the law firm of Marquis Aurbach Coffing, and Plaintiff Oscar Vargas ("Vargas"), by and through his counsel of record, the law firm of Wolf, Rifkin, Shapiro, Sch..
More
STIPULATION AND ORDER FOR DEFENDANTS TO RESPOND TO PLAINTIFF'S COLLECTIVE ACTION COMPLAINT
(FIRST REQUEST)
CARL W. HOFFMAN, Magistrate Judge.
Defendants Oyster Bay Restaurant, Inc. ("Oyster Bay Restaurant") and Oyster Bay Seafood, LLC ("Oyster Bay Seafood," and collectively, "Defendants"), by and through their counsel of record, the law firm of Marquis Aurbach Coffing, and Plaintiff Oscar Vargas ("Vargas"), by and through his counsel of record, the law firm of Wolf, Rifkin, Shapiro, Schulman & Rabkin, LLP, hereby stipulate and agree as follows:
1. On February 7, 2019, Vargas filed his Collective Action Complaint [ECF Nos. 1, 2] ("Complaint");
2. The Complaint and Summonses were served upon both Defendants on February 25, 2019 [ECF Nos. 9, 10];
3. Defendants' respective responses to the Complaint are currently due on March 18, 2019; and
4. The parties have agreed to extend the deadline for Defendants to respond to the Complaint to March 28, 2019, due Defendants' counsel's formal retention on March 15, 2019, and the parties desire to discuss the possibility of early resolution.
IT IS SO STIPULATED.
ORDER
Based on the forgoing stipulation and good cause appearing,
IT IS SO ORDERED that Defendants' deadline to respond to the Complaint is extended to March 28, 2019.