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Amazon.com, Inc. v. Zhang, 2:18-CV-00352. (2019)

Court: District Court, D. Washington Number: infdco20190717f67 Visitors: 8
Filed: Jul. 16, 2019
Latest Update: Jul. 16, 2019
Summary: STIPULATED ORDER GRANTING PARTIES' JOINT STIPULATED MOTION TO DEFER EXPERT DISCLOSURE REQUIREMENTS RELATED TO REQUESTS FOR ATTORNEYS' FEES AND COSTS RICARDO S. MARTINEZ , Chief District Judge . Plaintiffs Amazon.com, Inc. and Vera Bradley Designs, Inc. ("Plaintiffs"), and Defendants Zhen Wang "Johnny" Zhang and Fabby Global Trading, LLC d/b/a/ "Calibean Collection" ("Defendants") (collectively, "Parties"), by and through their respective counsel of record, hereby stipulate as follows: WHER
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STIPULATED ORDER GRANTING PARTIES' JOINT STIPULATED MOTION TO DEFER EXPERT DISCLOSURE REQUIREMENTS RELATED TO REQUESTS FOR ATTORNEYS' FEES AND COSTS

Plaintiffs Amazon.com, Inc. and Vera Bradley Designs, Inc. ("Plaintiffs"), and Defendants Zhen Wang "Johnny" Zhang and Fabby Global Trading, LLC d/b/a/ "Calibean Collection" ("Defendants") (collectively, "Parties"), by and through their respective counsel of record, hereby stipulate as follows:

WHEREAS, Parties have agreed that it would be most expeditious and cost-efficient to submit expert disclosure requirements related to a request for attorneys' fees and costs, including evidence supporting requests and entitlement for attorney fees and costs in an exceptional case, e.g., redacted invoices, 15 days after the verdict or final judgment, whichever is earlier;

NOW, THEREFORE, IT IS STIPULATED that the Court enter the following order with regard to expert disclosures related to a request for attorneys' fees and costs:

The Parties' submission on expert disclosure requirements related to a request for attorneys' fees and costs, including evidence supporting requests and entitlement for attorney fees and costs in an exceptional case, may be deferred until 15 days after the verdict or final judgment, whichever comes earlier.

IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.

Dated this 12th day of July 2019. By: /s/ Zana Z. Bugaighis Bonnie E. MacNaughton, WSBA #36110 Zana Z. Bugaighis, WSBA #43614 James Harlan Corning, WSBA #45177 Sarah E. Cox, WSBA #46703 DAVIS WRIGHT TREMAINE LLP 1201 Third Avenue, Suite 2200 Seattle, WA 98101-3045 Tel: (206) 622-3150 Fax: (206) 757-7700 Email: bonniemacnaughton@dwt.com zanabugaighis@dwt.com jamescorning@dwt.com sarahcox@dwt.com Attorneys for Plaintiffs Amazon.com, Inc. and Vera Bradley Designs, Inc. Dated this 12th day of July 2019. By: /s/Susan D. Pitchford Susan D. Pitchford, WSBA #26259 CHERNOFF VILHAUER LLP 111 SW Columbia Street, Suite 725 Portland, OR 97201 Tel: (503) 227-5631 Fax: (503) 228-4373 Email: sdp@chernofflaw.com kevin@chernofflaw.com Douglas H. Elliott, Pro Hac Vice Nathan Q. Huynh, Pro Hac Vice Merry R. Harrison, Pro Hac Vice ELLIOTT & POLASEK, PLLC 6750 West Loop South, Suite 995 Bellaire, TX 77401 Tel: (832) 485-3507 Fax: (832) 485-3511 Email: doug@elliottiplaw.com nathan@elliottiplaw.com merry@epiplawyers.com Attorneys for Defendants Zhenwang Zhang, Fabby Global Trading, LLC and Universal Expo Group, Inc.

ORDER

PURSUANT TO STIPULATION, IT IS SO ORDERED.

Source:  Leagle

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