Opinion
3:22-cv-02366-RS
02-07-2024
JACOB M. HEATH (SBN 238959) ORRICK, HERRINGTON & SUTCLIFFE LLP Attorneys for Defendant Meta Platforms, Inc. Seth W. Wiener (SBN 203747) Law Offices of Seth W. Wiener W. Cook Alciati (admitted pro hac vice) Gardella Grace P.A. Attorneys for Plaintiff Shared Partnership W. COOK ALCIATI MICHAEL DORFMAN GARDELLA GRACE P.A. W. COOK ALCIATI Attorney for Plaintiff SHARED PARTNERSHIP JACOB M. HEATH MELISSA LEVIN ORRICK, HERRINGTON & SUTCLIFFE LLP JACOB M. HEATH Attorney for Defendant META PLATFORMS, INC.
JACOB M. HEATH (SBN 238959)
ORRICK, HERRINGTON & SUTCLIFFE LLP
Attorneys for Defendant
Meta Platforms, Inc.
Seth W. Wiener (SBN 203747)
Law Offices of Seth W. Wiener
W. Cook Alciati (admitted pro hac vice)
Gardella Grace P.A.
Attorneys for Plaintiff
Shared Partnership
W. COOK ALCIATI
MICHAEL DORFMAN
GARDELLA GRACE P.A.
W. COOK ALCIATI
Attorney for Plaintiff
SHARED PARTNERSHIP
JACOB M. HEATH
MELISSA LEVIN
ORRICK, HERRINGTON & SUTCLIFFE LLP
JACOB M. HEATH
Attorney for Defendant
META PLATFORMS, INC.
JOINT REQUEST TO EXTEND CASE SCHEDULE ORDER
HON. RICHARD SEEBOW, UNITED STATES DISTRICT COURT JUDGE
Plaintiff Shared Partnership (“Shared” or “Plaintiff”) and Defendant Meta Platforms, Inc. (“Meta”) hereby jointly submit and move the Court for an order resetting the case schedule. The parties stipulate, subject to approval of the Court, as follows:
1. On January 30, 2024, the parties scheduled a meet and confer and counsel for Meta provided a proposed extended schedule.
2. On January 31, 2024, the parties met and conferred regarding, among other things, the schedule for discovery.
3. On January 31, 2024, counsel for Shared provided a counterproposal to Meta proposing a revised schedule.
4. On January 31, 2024, counsel for Meta provided a counterproposal to Shared proposing a further revised schedule.
5. On February 5, 2024, the Parties agreed to a proposed revised case schedule with a proposed trial date of September 23, 2024.
6. The parties agreement is contingent on the following:
a. The parties will confirm witness availability for depositions by February 7, 2024; and
b. Following receipt of the Court's availability for trial, Shared indicated that it would stipulate to the below schedule so long as trial begins on September 23, 2024, subject to Meta's agreement that there will be no further schedule adjustments that require moving the trial date absent extenuating circumstances unrelated to the litigation.
7. Subject to the foregoing, the parties have thus met and conferred in good faith and have agreed, subject to the Court's availability and approval, to extend the case schedule to the following:
CIVIL LOCAL RULE 5-1(h)(3) ATTESTATION
Event
Current Deadline
Deadline
Close of Fact Discovery
February 29, 2024
April 5, 2024
Further Case Management Conference
March 14, 2024
April 18, 2024
Opening Expert Reports
March 8, 2024
May 10, 2024
Rebuttal Expert Reports
April 5, 2024
June 7, 2024
Close of Expert Discovery
April 22, 2024
June 24, 2024
Pretrial Motion Cutoff
May 9, 2024
July 11, 2024
Pretrial Motion Hearing Date
June 6, 2024
August 8, 2024
Mediation Deadline
n/a
July 23, 2024
Pretrial Conference
June 28, 2024
August 30, 2024
Trial
July 15, 2024
September 23, 2024
I hereby attest that concurrence in the filing of this document has been obtained from each of the other signatories hereto.
PURSUANT TO STIPULATION, IT IS SO ORDERED.
The case schedule is extended as agreed to by the parties.