Comphy Co. v. Amazon.com, Inc., C18-1460 RSM. (2019)
Court: District Court, D. Washington
Number: infdco20190816e49
Visitors: 12
Filed: Aug. 15, 2019
Latest Update: Aug. 15, 2019
Summary: FOURTH STIPULATED MOTION TO STAY AND ORDER TO STAY RICARDO S. MARTINEZ , District Judge . Plaintiff The Comphy Co. ("Comphy") and Defendant Amazon.com, Inc. ("Amazon) jointly present the following stipulation and request that the Court enter the proposed subjoined order: STIPULATION 1. The parties are continuing to exchange settlement drafts and refine the final terms of a written settlement agreement. The parties have made significant progress on the form of the document, and there are
Summary: FOURTH STIPULATED MOTION TO STAY AND ORDER TO STAY RICARDO S. MARTINEZ , District Judge . Plaintiff The Comphy Co. ("Comphy") and Defendant Amazon.com, Inc. ("Amazon) jointly present the following stipulation and request that the Court enter the proposed subjoined order: STIPULATION 1. The parties are continuing to exchange settlement drafts and refine the final terms of a written settlement agreement. The parties have made significant progress on the form of the document, and there are o..
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FOURTH STIPULATED MOTION TO STAY AND ORDER TO STAY
RICARDO S. MARTINEZ, District Judge.
Plaintiff The Comphy Co. ("Comphy") and Defendant Amazon.com, Inc. ("Amazon) jointly present the following stipulation and request that the Court enter the proposed subjoined order:
STIPULATION
1. The parties are continuing to exchange settlement drafts and refine the final terms of a written settlement agreement. The parties have made significant progress on the form of the document, and there are only a handful of remaining issues to resolve.
2. The parties request that the Court stay this matter for an additional 30 days to permit the parties to attempt to finalize settlement terms and a written settlement agreement. The parties are cautiously optimistic that this will be the final request for an extension, and appreciate the Court's patience in this regard.
At the conclusion of the stay, the parties will file a joint status report or stipulated motion to dismiss.
DAVIS WRIGHT TREMAINE LLP
By /s/Zana Z. Bugaighis
_________________________________
Bonnie E. MacNaughton, WSBA #36110
Zana Z. Bugaighis, WSBA #43614
James Harlan Corning, WSBA #45177
920 Fifth Avenue, Suite 3300
Seattle, Washington 98104-1610
Telephone: (206) 622-3150
Fax: (206) 757-7700
E-mail: bonniemacnaughton@dwt.com
zanabugaighis@dwt.com
jamescorning@dwt.com
Joseph C. Gratz (pro hac vice)
Vera Ranieri (pro hac vice)
DURIE TANGRI LLP
217 Leidesdorff Street
San Francisco, California 94111
Telephone: (415) 362-6666
Fax: (415) 236-6300
E-mail: jgratz@durietangri.com
vranieri@durietangri.com
Attorneys for Defendant Amazon.com, Inc.
- and -
BROWNLIE WOLF & LEE, LLP
By /s/Mark J. Lee
_________________________________
Mark J. Lee, WSBA #19339
Haylee J. Hurst, WSBA #51406
230 E. Champion Street
Bellingham, Washington 98225
Telephone: (360) 676-0306
Fax: (360) 676-8058
E-mail: mark@bellinghamlegal.com
haylee@bellinghamlegal.com
Steven P. Fallon (pro hac vice)
Allyson M. Martin (pro hac vice)
GREER BURNS & CRAIN LTD
300 S. Wacker Drive, Suite 2500
Chicago, Illinois 60606
Telephone: (312) 360-0080
Fax: (312) 360-9315
E-mail: sfallon@gbc.law
amartin@gbc.law
Attorneys for Plaintiff The Comphy Co.
*Signature authorized by email on August 14,
2019
ORDER
IT IS SO ORDERED.
Source: Leagle