Central Freight Lines, Inc. v. Amazon Fulfillment Services, Inc., 2:17-cv-00814-JLR. (2019)
Court: District Court, D. Washington
Number: infdco20190429903
Visitors: 6
Filed: Apr. 23, 2019
Latest Update: Apr. 23, 2019
Summary: JOINT STIPULATION AND ORDER TO MODIFY THE BRIEFING SCHEDULE FOR PLAINTIFF'S MOTION FOR PARTIAL SUMMARY JUDGMENT JAMES L. ROBART , District Judge . Pursuant to Local Civil Rules 7(d)(1) and (j) and 10(g) and Federal Rule of Civil Procedure 56(d), the undersigned parties respectfully request that the Court extend the following deadlines pertinent to Plaintiff's Motion for Partial Summary Judgment (Dkt. No. 145), which is currently noted for consideration on May 3, 2019. Defendant's Response:
Summary: JOINT STIPULATION AND ORDER TO MODIFY THE BRIEFING SCHEDULE FOR PLAINTIFF'S MOTION FOR PARTIAL SUMMARY JUDGMENT JAMES L. ROBART , District Judge . Pursuant to Local Civil Rules 7(d)(1) and (j) and 10(g) and Federal Rule of Civil Procedure 56(d), the undersigned parties respectfully request that the Court extend the following deadlines pertinent to Plaintiff's Motion for Partial Summary Judgment (Dkt. No. 145), which is currently noted for consideration on May 3, 2019. Defendant's Response: ..
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JOINT STIPULATION AND ORDER TO MODIFY THE BRIEFING SCHEDULE FOR PLAINTIFF'S MOTION FOR PARTIAL SUMMARY JUDGMENT
JAMES L. ROBART, District Judge.
Pursuant to Local Civil Rules 7(d)(1) and (j) and 10(g) and Federal Rule of Civil Procedure 56(d), the undersigned parties respectfully request that the Court extend the following deadlines pertinent to Plaintiff's Motion for Partial Summary Judgment (Dkt. No. 145), which is currently noted for consideration on May 3, 2019.
Defendant's Response: Extend from April 29, 2019 to May 6, 2019.
Plaintiff's Reply and Note Date: Extend from May 3, 2019 to May 13, 2019.
Good cause exists for extending the briefing schedule because unforeseen travel delays forced the rescheduling of Plaintiff's Rule 30(b)(6) to April 22, 2019. The additional time will allow Defendant sufficient time to incorporate the deposition testimony into its response.
Dated this 23rd day of April, 2019.
ROETZEL & ANDRESS, LPA FOSTER PEPPER PLLC
s/Garry Wills (via email authorization) s/ Steve Block
Marc H. Kallish (admitted pro hac Steven W. Block, WSBA No. 24299
vice) Christopher A. Rogers, WSBA No. 49634
Garry Wills (admitted pro hac vice) 1111 Third Avenue, Suite 3000
Julia Mohan (admitted pro hac vice) Seattle, Washington 98101-3299
30 N. LaSalle St., Suite 2800 Telephone: (206) 447-4400
Chicago, IL 60602 Facsimile: (206) 447-9700
Telephone: 312.580.1200 Email: steve.block@foster.com
Email: mkallish@ralaw.com Email: christopher.rogers@foster.com
gwills@ralaw.com Attorneys for Defendant Amazon Fulfillment
jmohan@ralaw.com Service
Attorneys for Plaintiff
ORDER
It is so ORDERED.
Source: Leagle