Opinion
Master File 2:22-cv-01282-JLR
03-23-2023
In Re Zillow Group, Inc. Session Replay Software Litigation The Document Refers to: All Actions
Joseph P. Guglielmo (admitted pro hac vice) SCOTT+SCOTT ATTORNEYS AT LAW LLP The Helmsley Building Gary F. Lynch (admitted pro hac vice) LYNCH CARPENTER, LLP Kim D. Stephens, P.S., WSBA #11984 TOUSLEY BRAIN STEPHENS PLLC Counsel for Plaintiffs James P. Savitt SAVITT BRUCE & WILLEY LLP Samantha L. Southall (admitted pro hac vice) BUCHANAN INGERSOLL & ROONEY PC Counsel for Defendant Zillow Group James G. Snell (admitted pro hac vice) PERKINS COIE Nicola Menaldo, WSBA No. 44459 Anna Mouw Thompson, WSBA No. 52418 PERKINS COIE Counsel for Defendant Microsoft Corporation
Joseph P. Guglielmo
(admitted pro hac vice)
SCOTT+SCOTT ATTORNEYS
AT LAW LLP
The Helmsley Building
Gary F. Lynch
(admitted pro hac vice)
LYNCH CARPENTER, LLP
Kim D. Stephens, P.S., WSBA #11984
TOUSLEY BRAIN STEPHENS PLLC
Counsel for Plaintiffs
James P. Savitt
SAVITT BRUCE & WILLEY LLP
Samantha L. Southall
(admitted pro hac vice)
BUCHANAN INGERSOLL & ROONEY PC
Counsel for Defendant Zillow Group
James G. Snell
(admitted pro hac vice)
PERKINS COIE
Nicola Menaldo, WSBA No. 44459
Anna Mouw Thompson, WSBA No. 52418
PERKINS COIE
Counsel for Defendant Microsoft Corporation
JOINT STIPULATION AND [PROPOSED] ORDER REGARDING INITIAL DISCLOSURES
THE HONORABLE JAMES L. ROBART, UNITED STATES DISTRICT JUDGE.
Plaintiffs Natalie Perkins, Kenneth Hasson, Jamie Huber, David Kauffman, Mark Conlisk, Michael Dekhtyar, Ashley Popa, Jill Strelzin, Jill Adams, Jill Adams, as natural mother and next friend of her minor child, H.A, and Ryan Margulis (collectively “Plaintiffs”) and Defendants Zillow Group, Inc. (“Zillow”) and Microsoft Corporation (“Microsoft”) (collectively with Zillow, “Defendants”), by and through their undersigned counsel, hereby stipulate that the time to exchange Initial Disclosures shall be extended through and including April 24, 2023, and in support thereof allege as follows:
1. On February 24, 2023, this Court entered an Order Regarding Initial Disclosures, Joint Status Report, and Early Settlement. (Doc. No. 39). Pursuant to this Order, the parties are required to exchange Initial Disclosures on March 24, 2023.
2. Pursuant to this Court's January 18, 2023 Order (Doc. No. 33), Plaintiffs shall file a consolidated amended complaint or designate an operative complaint no later than April 10, 2023.
3. The parties held a Rule 26(f) conference on March 8, 2023. They continue to meet and confer regarding the contents of a Combined Joint Status Report and Discovery Plan, which will be filed with the Court on March 31, 2023.
4. The parties agree to exchange Initial Disclosures on April 24, 2023 so that those disclosures may address any issues raised by the anticipated consolidated amended complaint. The parties had originally contemplated that Rule 26(f) related deadlines would be extended until after Plaintiffs filed a consolidated amended complaint. (See Doc. No. 33 at ¶10 (k)).
5. The extension is not for the purpose of delay and will not cause prejudice to the respective parties.
6. Therefore, the parties, through counsel of record, hereby move for and stipulate to the following proposed order:
[PROPOSED] ORDER
a. It is hereby ordered that the time for the parties to exchange Initial Disclosures is extended through and including April 24, 2023.
IT IS SO STIPULATED.