Opinion
2:22-cv-00594-MJP
07-20-2023
YASMINE MAHONE, an individual, and BRANDON TOLE, an individual, on behalf of themselves and all others similarly situated, Plaintiffs, v. AMAZON.COM, INC., a Delaware corporation, AMAZON.COM SERVICES LLC; a Delaware Limited Liability Company; AMAZON.COM DEDC, LLC; a Delaware Limited Liability Company; and AMAZON.COM KYDC LLC, a Delaware Limited Liability Company, Defendants.
Andrew E. Moriarty, Bar No. 28651 Heather L. Shook, Bar No. 56610 Shannon McDermott, Bar No. 59455 Perkins Coie LLP Jason C. Schwartz (pro hac vice) Brian A. Richman (pro hac vice) Gibson, Dunn & Crutcher LLP Lauren M. Blas (pro hac vice) Gibson, Dunn & Crutcher LLP Attorneys for Defendants Amazon.com, Inc., Amazon.com Services LLC, Amazon.com.dedc, LLC and Amazon.com.kydc LLC. Daniel Kalish, Esq., WSBA 35815 HKM Employment Attorneys LLP Attorneys for Plaintiff Brian J. Lawler (pro hac vice) PILOT LAW, P.C. Gene J. Stonebarger (pro hac vice) STONEBARGER LAW, APC Kevin L. Wilson (pro hac vice) KEVIN WILSON LAW PLLC Counsel for Plaintiffs and the Proposed Putative Class
NOTE ON MOTION CALENDAR: JULY 20, 2023
Andrew E. Moriarty, Bar No. 28651 Heather L. Shook, Bar No. 56610 Shannon McDermott, Bar No. 59455 Perkins Coie LLP Jason C. Schwartz (pro hac vice) Brian A. Richman (pro hac vice) Gibson, Dunn & Crutcher LLP Lauren M. Blas (pro hac vice) Gibson, Dunn & Crutcher LLP Attorneys for Defendants Amazon.com, Inc., Amazon.com Services LLC, Amazon.com.dedc, LLC and Amazon.com.kydc LLC.
Daniel Kalish, Esq., WSBA 35815 HKM Employment Attorneys LLP Attorneys for Plaintiff
Brian J. Lawler (pro hac vice) PILOT LAW, P.C. Gene J. Stonebarger (pro hac vice) STONEBARGER LAW, APC Kevin L. Wilson (pro hac vice) KEVIN WILSON LAW PLLC Counsel for Plaintiffs and the Proposed Putative Class
STIPULATED MOTION TO EXTEND CERTAIN CLASS CERTIFICATION-RELATED DEADLINES AND [PROPOSED] ORDER
Marsha J. Pechman United States Senior District Judge
STIPULATION
Pursuant to Local Rules 7(d)(1), 10(g), and 16(b)(6), Plaintiffs Yasmine Mahone and Brandon Tole and Defendant Amazon.com, Inc. (“Amazon”) (together, the “parties”) hereby jointly stipulate as follows:
1. On April 10, 2023, the Court issued a Case Scheduling Order, which set a deadline to complete class discovery on July 21, 2023 (Dkt. #58). The parties have tried to fit all of the discovery within that time frame but there are still outstanding depositions that the parties have noticed and need to complete.
2. Amazon has noticed the depositions of Plaintiffs Yasmine Mahone and Brandon Tole. The parties have scheduled the depositions of Ms. Mahone and Mr. Tole for August 2 and August 3, 2023, respectively.
3. Plaintiffs noticed a Rule 30(b)(6) deposition of Amazon. The parties are meeting and conferring regarding the noticed topics. Plaintiffs noticed the Rule 30(b)(6) deposition for August 22, 2023.
4. The parties agree and stipulate to extend the time to complete class discovery until August 31, 2023, for the limited purpose of conducting the above-referenced depositions and completing document productions by both the parties. The parties also agree and stipulate that Plaintiffs' Motion for Class Certification be extended from August 31, 2023, to September 15, 2023.
5. Plaintiffs' Motion for Class Certification is currently due on August 31, 2023. Given the noticed 30(b)(6) deposition on for August 22, 2023, the parties have agreed, pending the Court's approval, to continue: (1) Plaintiffs' Class Certification motion filing deadline to September 15, 2023; (2) Defendants' Response to the Motion for Class Certification to November 15, 2023; and (3) Plaintiffs' Reply to December 15, 2023.
6. There have been no prior requests to extend the deadlines set in the Court's Case Scheduling Order and extending the deadlines as stipulated would not affect any other scheduled dates in the proceeding.
[PROPOSED] ORDER
Based upon the foregoing Stipulation, IT IS SO ORDERED.