Filed: Jan. 24, 2020
Latest Update: Jan. 24, 2020
Summary: STIPULATED MOTION AND [PROPOSED] ORDER TO EXTEND STAY TO APRIL 10, 2020 NOTE ON MOTION CALENDAR January 23, 2020 RICARDO S. MARTINEZ , Chief District Judge . The parties, by and through the undersigned counsel, hereby submit this Stipulated Motion to Extend Stay. For good cause shown and consistent with the Court's October 1, 2019 Stipulated Motion and Order to Stay Case (Dkt. # 24), the parties hereby advise the Court that mediation is confirmed for April 2, 2020 and respectfully request
Summary: STIPULATED MOTION AND [PROPOSED] ORDER TO EXTEND STAY TO APRIL 10, 2020 NOTE ON MOTION CALENDAR January 23, 2020 RICARDO S. MARTINEZ , Chief District Judge . The parties, by and through the undersigned counsel, hereby submit this Stipulated Motion to Extend Stay. For good cause shown and consistent with the Court's October 1, 2019 Stipulated Motion and Order to Stay Case (Dkt. # 24), the parties hereby advise the Court that mediation is confirmed for April 2, 2020 and respectfully request t..
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STIPULATED MOTION AND [PROPOSED] ORDER TO EXTEND STAY TO APRIL 10, 2020
NOTE ON MOTION CALENDAR January 23, 2020
RICARDO S. MARTINEZ, Chief District Judge.
The parties, by and through the undersigned counsel, hereby submit this Stipulated Motion to Extend Stay. For good cause shown and consistent with the Court's October 1, 2019 Stipulated Motion and Order to Stay Case (Dkt. # 24), the parties hereby advise the Court that mediation is confirmed for April 2, 2020 and respectfully request that the case and all deadlines and motions continue to be stayed until April 10, 2020.
This motion is made for good cause and not for the purpose of delay. The parties have scheduled mediation with David A. Rotman for April 2, 2020 and are in the process of exchanging limited information, including payroll and timekeeping data. The parties jointly agree that extending the stay of the case and all deadlines and motions will permit the parties to engage in good faith settlement negotiations and continue to work towards a potential resolution of this matter.
For the foregoing reasons, the parties respectfully request that the Court extend the stay in this matter until April 10, 2020, to enable the parties to attend the scheduled mediation.
DATED: January 23, 2020 By: s/Chelsea Dwyer Petersen
Chelsea Dwyer Petersen #33787
William B. Stafford #39849
Charles N. Eberhardt #18019
Stephanie R. Holstein #50802
Perkins Coie LLP
1201 Third Avenue, Suite 4900
Seattle, WA 98101-3099
Telephone: 206.359.8000
Facsimile: 206.359.9000
Email: CDPetersen@perkinscoie.com
WStafford@perkinscoie.com
CEberhardt@perkinscoie.com
SHolstein@perkinscoie.com
Attorneys for Defendant
By: s/Molly A. Elkin
Molly A. Elkin, pro hac vice
Sarah M. Block, pro hac vice
McGillivary Steele Elkin LLP
1101 Vermont Ave. NW, Ste. 1000
Washington, DC 20005
Telephone: 202.833.8855
Email: mae@mselaborlaw.com
Email: smb@mselaborlaw.com
David M. Gaba (WA Bar No. 18908)
Compass Law Group
1001 Fourth Avenue, Ste. 3200
Seattle, WA 98154
Telephone: 206.251.5488
Email: davegaba@compasslegal.com
Patricia L. Vannoy, pro hac vice
Mattson Ricketts Law Firm
134 S 13th Street, Ste. 1200
Lincoln, NE 68508
Telephone: 402.475.8433
Email: bao@mattsonricketts.com
Attorneys for Plaintiffs
Given the above stipulation, the Court finds good cause to extend the stay until April 10, 2020. All pending motions will be renoted for that date.