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Codoni v. Port of Seattle

United States District Court, Western District of Washington
Jun 12, 2023
2:23-cv-795 (W.D. Wash. Jun. 12, 2023)

Opinion

2:23-cv-795

06-12-2023

CINDY CODONI and MICHELLE GEER, individually and on behalf of all others similarly situated, Plaintiffs, v. PORT OF SEATTLE, ALASKA AIR GROUP, and DELTA AIR LINES, INC., Defendants.

Malaika M. Eaton, WSBA No. 32837 Attorney for Defendant Delta Air Lines, Inc. Beth Ginsberg, WSBA No. 18523 Attorney for Defendant Port of Seattle Steve W. Berman, WSBA No. 12536 Attorney for Plaintiffs


Malaika M. Eaton, WSBA No. 32837 Attorney for Defendant Delta Air Lines, Inc.

Beth Ginsberg, WSBA No. 18523 Attorney for Defendant Port of Seattle

Steve W. Berman, WSBA No. 12536 Attorney for Plaintiffs

STIPULATED MOTION TO EXTEND DEFENDANTS' RESPONSIVE PLEADING DEADLINE

Jamal N. Whitehead United States District Judge

NOTE ON MOTION CALENDAR: June 1, 2023.

Pursuant to Western District of Washington Local Rules 7(d)(1) and 10(g), Defendants Port of Seattle, Alaska Air Group, and Delta Air Lines, Inc. (“Defendants”) and Plaintiffs Cindy Codoni and Michelle Geer (“Plaintiffs”) (collectively, the “Parties”) stipulate and move as follows:

WHEREAS, on April 21, 2023, Plaintiffs filed an Amended Class Action Complaint (“Amended Complaint”) against Defendants in King County Superior Court.

WHEREAS, on May 26, 2023, Defendants filed a Notice of Removal (Dkt. # 1) in this action.

WHEREAS, Defendants' current deadline to respond to the Amended Complaint is June 2, 2023.

WHEREAS, Defendants anticipate responding to the Amended Complaint by filing one or more motions pursuant to Federal Rules of Civil Procedure, Rule 12.

WHEREAS, Plaintiffs anticipate further amending their complaint, and Plaintiffs are also considering filing a motion to remand, both of which may impact the case's schedule moving forward.

WHEREAS, given the complexity of the issues presented and to provide the parties with time to meet and confer about case management issues in light of the foregoing, the parties wish to extend Defendants' deadline to file a responsive pleading.

THEREFORE, IT IS STIPULATED AND AGREED that:

Defendants' deadline to respond to the Amended Complaint shall be July 10, 2023.

MCNAUL EBEL NAWROT & HELGREN PLLC

CORR CRONIN LLP

Steven W. Fogg, WSBA No. 23528 Attorney for Defendant Alaska Air Group

STOEL RIVES LLP

HAGENS BERMAN SOBOL SHAPIRO LLP

ORDER

PURSUANT TO THE FOREGOING STIPULATED MOTION, IT IS SO ORDERED. Defendants' deadline to respond to the Amended Complaint shall be July 10, 2023.


Summaries of

Codoni v. Port of Seattle

United States District Court, Western District of Washington
Jun 12, 2023
2:23-cv-795 (W.D. Wash. Jun. 12, 2023)
Case details for

Codoni v. Port of Seattle

Case Details

Full title:CINDY CODONI and MICHELLE GEER, individually and on behalf of all others…

Court:United States District Court, Western District of Washington

Date published: Jun 12, 2023

Citations

2:23-cv-795 (W.D. Wash. Jun. 12, 2023)