Opinion
2:22-cv-00665-RSL
06-16-2023
LANE POWELL PC John S. Devlin III, WSBA No. 23988 Erin M. Wilson, WSBA No. 42454 Taylor Washburn, WSBA No. 51524 Attorneys for Defendant Mercedes-Benz Group AG, Mercedes-Benz AG, and Mercedes-Benz USA, LLC TOUSLEY BRAIN STEPHENS PLLC Kim D. Stephens, P.S.,WSBA No. 11984 Rebecca L. Solomon, WSBA No. 51520 Attorneys for Plaintiffs
LANE POWELL PC John S. Devlin III, WSBA No. 23988 Erin M. Wilson, WSBA No. 42454 Taylor Washburn, WSBA No. 51524 Attorneys for Defendant Mercedes-Benz Group AG, Mercedes-Benz AG, and Mercedes-Benz USA, LLC
TOUSLEY BRAIN STEPHENS PLLC Kim D. Stephens, P.S.,WSBA No. 11984 Rebecca L. Solomon, WSBA No. 51520 Attorneys for Plaintiffs
ORDER GRANTING STIPULATED MOTION TO CONTINUE CASE DEADLINES
Robert S. Lasnik United States District Judge
THIS MATTER having come before the Court on the parties' Stipulated Motion to Continue Case Deadlines, the Court having reviewed the Stipulated Motion and having reviewed the files and records herein, now, therefore, it is hereby
ORDERED that the parties' Stipulated Motion is hereby GRANTED and the following deadlines are continued as follows:
1. While the Defendants' Motion for Reconsideration of the Court's Order on the; Motion to Dismiss is pending, the Defendants' deadline to respond to the complaint shall be the first Friday that falls 14 days after the reconsideration order. The parties further stipulate that any response to such a filing shall be 28 days thereafter, and any reply shall be 14 days thereafter;
2. The word limit is extended to 16,800 for Defendants' joint motion to dismiss in response to the complaint and any opposition thereto, and to 8,400 words for any reply thereto; and
3. Defendants maintain the discovery stay remains in place pursuant to Docket number 54. Plaintiffs disagree. Notwithstanding, on July 20, 2023, MBUSA will serve objections and responses to Plaintiffs' First Set of Requests for Production of Documents to Defendant Mercedes Benz USA, LLC that Plaintiffs propounded on May 19, 2023 (“First RFPs”), and will begin rolling productions of responsive, nonprivileged documents within thirty days of serving MBUSA's objections and responses to the First RFPs.