Opinion
2:23-cv-01010-JLR
04-19-2024
SHAREN OGILVIE, Plaintiff, v. SANOFI-AVENTIS U.S. LLC and SANOFI U.S. SERVICES INC. formerly known as SANOFI-AVENTIS U.S. INC., Defendants.
NOTE ON MOTION CALENDAR: April 19, 2024
STIPULATED NOTICE OF PENDING SETTLEMENT AND MOTION TO STAY PROCEEDINGS
The Honorable James L. Robart United States District Court Judge
Plaintiff Sharon Ogilvie and Defendants Sanofi U.S. Services, Inc. and Sanofi-Aventis U.S. LLC (collectively, “the Parties”), hereby give notice that the Parties have reached an agreement in principle for the complete resolution of this matter.
The Parties are in the process of preparing and finalizing a Master Settlement Agreement, which will include the instant case, as well as other cases in multi-district litigation. Accordingly, the Parties in this matter respectfully request that this Court vacate all pending deadlines and stay this matter for six months, through and including October 7, 2024, at which time a status report informing this Court of the settlement status or a motion for appropriate relief shall be due.
IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.
Ryan J. Browne Reyes Browne Law Counsel for Plaintiff
Steven Rich Shook, Hardy & Bacon L.L.P. WA Bar No. 48444 Counsel for Sanofi U.S. Services Inc. and Sanofi-Aventis U.S. LLC
IT IS SO ORDERED.
CERTIFICATE OF SERVICE
I hereby certify that on April 19, 2024, I electronically filed the foregoing document with the Clerk of the Court using the CM/ECF system, which will send notification of such filing to those attorneys of record registered on the CM/ECF system. All other parties, if any, shall be served in accordance with the Federal Rules of Civil Procedure.