Opinion
Case No. CV 10-01189 LHK (PSG)
11-14-2011
GUIFU LI, MENG YANG, FANG DAI, LIN CUI, and ZHONG YU on behalf of themselves and all others similarly situated, Plaintiffs, v. A PERFECT DAY FRANCHISE, INC., a California corporation, et al, Defendants. MINJIAN HAND HEALING INSTITUTE, INC., a California corporation, Counterclaimant, v. FANG DAI, and individual; ZHONG YU, an individual; LIN CUI, and individual; and DOES 11-30, inclusive, Counterdefendants.
MONIQUE OLIVIER (SBN 190385) DUCKWORTH PETERS LEBOWITZ OLIVIER LLP JAMES C. STURDEVANT (SBN 94551) THE STURDEVANT LAW FIRM Attorneys for Plaintiffs and the Class and Counterdefendants
MONIQUE OLIVIER (SBN 190385)
DUCKWORTH PETERS LEBOWITZ OLIVIER LLP
JAMES C. STURDEVANT (SBN 94551)
THE STURDEVANT LAW FIRM
Attorneys for Plaintiffs and the Class and Counterdefendants
CLASS ACTION
STIPULATION AND [PROPOSED] ORDER TO ENLARGE BRIEFING SCHEDULE ON DEFENDANT'S MOTION TO DISMISS (DKT. 283)
Courtroom: 4, 5th Floor
Judge: Hon. Lucy H. Koh
WHEREAS on November 2, 2011, Defendants' filed a Motion to Dismiss (Dkt. 283), which, pursuant to Local Rule 7-3, set the briefing schedule as follows:
• Opposition Due November 16, 2011
• Reply Due November 23, 2011
WHEREAS the hearing on this matter is not until January 5, 2012.
WHEREAS the parties have been actively engaged in discovery and in briefing motions to compel, and responses thereto based on the Court's deadline to file such motions more than thirty (30) days prior to the discovery cut-off date. (Dkt. 267.)
WHEREAS the discovery cut-off in this case is set for December 2, 2011. (Dkt. 254.) WHEREAS the parties have noticed multiple depositions to occur during the month of November, 2011.
IT IS HEREBY STIPULATED by and between the parties, through their respective attorneys of record, that the briefing schedule on Defendants' Motion to Dismiss (Dkt. 283) shall be amended as follows:
• Opposition Due November 23, 2011
• Reply Due December 7, 2011
DUCKWORTH PETERS LEBOWITZ OLIVIER LLP
THE STURDEVANT LAW FIRM
A Professional Corporation
Monique Olivier
Attorneys for Plaintiffs and the Putative Class and Counterdefendants
LAW OFFICES OF RICHARD WAHNG
Lee Edwin Sheldon
Attorneys for Defendants and Counterclaimant
ATTESTATION UNDER GENERAL ORDER 45
I, Monique Olivier, am the ECF user whose ID and password are being used to file this STIPULATION AND [PROPOSED] ORDER TO ENLARGE BRIEFING SCHEDULE ON DEFENDANTS' MOTION TO DISMISS (DKT. 283). In compliance with General Order 45, I hereby attest that Lee Sheldon, counsel for Defendants, has concurred in this filing.
Monique Olivier
PURSUANT TO STIPULATION, IT IS SO ORDERED.
The briefing schedule on Defendants' Motion to Dismiss (Dkt. 283) shall be amended as follows:
• Opposition Due November 23, 2011
• Reply Due December 7, 2011
HONORABLE LUCY H. KOH
United States District Judge