Filed: Dec. 13, 2017
Latest Update: Dec. 13, 2017
Summary: STIPULATED MOTION AND ORDER AMENDING CASE SCHEDULE MARSHA J. PECHMAN , District Judge . Pursuant to LCR 7(d)(1), LCR 10(g), and the Court's Chamber Procedures, Plaintiff Ayanna Rosenberg ("Plaintiff") and Defendants CCS Commercial, LLC and Progressive Direct Insurance Company (collectively, "Defendants"), by and through their counsel, hereby stipulate and move for a one-month continuance of the deadline for Plaintiff to file her motion for class certification and all related briefing and he
Summary: STIPULATED MOTION AND ORDER AMENDING CASE SCHEDULE MARSHA J. PECHMAN , District Judge . Pursuant to LCR 7(d)(1), LCR 10(g), and the Court's Chamber Procedures, Plaintiff Ayanna Rosenberg ("Plaintiff") and Defendants CCS Commercial, LLC and Progressive Direct Insurance Company (collectively, "Defendants"), by and through their counsel, hereby stipulate and move for a one-month continuance of the deadline for Plaintiff to file her motion for class certification and all related briefing and hea..
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STIPULATED MOTION AND ORDER AMENDING CASE SCHEDULE
MARSHA J. PECHMAN, District Judge.
Pursuant to LCR 7(d)(1), LCR 10(g), and the Court's Chamber Procedures, Plaintiff Ayanna Rosenberg ("Plaintiff") and Defendants CCS Commercial, LLC and Progressive Direct Insurance Company (collectively, "Defendants"), by and through their counsel, hereby stipulate and move for a one-month continuance of the deadline for Plaintiff to file her motion for class certification and all related briefing and hearing deadlines, as follows.
STIPULATED MOTION
The parties agree and stipulate as follows:
The deadline to file Plaintiff's motion for class certification in this case has been set for December 14, 2017. (Minute Order Setting Trial Date and Related Dates, Dkt 22).
The parties are currently conducting discovery on class certification issues and are engaged in the meet and confer process regarding Plaintiff's outstanding discovery responses and document production. The parties believe that a one month continuance to file the motion for class certification will allow for proper resolution of their present discovery dispute, without disrupting the trial date of September 10, 2018 or the remaining case schedule.
Accordingly, the parties agree and stipulate that good cause exists to continue the deadline to file Plaintiff's Motion for Class Certification by approximately one month, to January 18, 2017. Pursuant to LCR 7(d)(3), Plaintiff shall note her motion for consideration on February 16, 2018, with Defendants' opposition briefs due on February 12, 2018, and Plaintiff's reply briefing due on February 16, 2018.
STIPULATED and AGREED:
Dated this 11th day of December, 2017 Dated this 11th day of December, 2017
TOUSLEY BRAIN STEPHENS PLLC COZEN O'CONNOR
By: /s/ James M. Bulthuis By: /s/ Anusha E. Jones
Chase Alvord, WSBA #26080 William H. Walsh, WSBA #21911
Email: calvord@tousley.com Email: wwalsh@cozen.com
James M. Bulthuis, WSBA #44089 Kevin A. Michael, WSBA #36976
Email: JBulthuis@Tousley.com Email: kmichael@cozen.com
Anusha E. Jones, WSBA #52989
Attorneys for Plaintiff Ayanna Rosenberg, E-mail: aejones@cozen.com
individually, and on Behalf of all those
similarly situated
Attorneys for Defendant
CCS Commercial, LLC
Dated this 8th day of December, 2017 Dated this 8th day of December, 2017
IDE LAW OFFICE HOLLAND & KNIGHT
By: /s/ Matthew James Ide By: /s/ Shannon Armstrong
Matthew James Ide, WSBA #26002 Shannon Armstrong, WSBA #45947
Email: mjide@yahoo.com Email: Shannon.armstrong@hklaw.com
J. Matthew Donohue, WSBA #52455
Attorney for Plaintiff Ayanna Rosenberg, Email: matt.donohue@hklaw.com
individually, and on Behalf of all those
similarly situated Attorneys for Defendant Progressive Direct
Insurance Company
ORDER
Pursuant to the above stipulated motion, and good cause appearing, it is so ordered that Plaintiff's motion for class certification be filed no later than January 18, 2018, and that the Case Schedule be amended as indicated. _________________________________________________________________________________________________ _________________________________________________________________________________________________ _________________________________________________________________________________________________