Opinion
Case No. CV-11-03570-JW
11-09-2011
TOYOTA MOTOR CORPORATION and TOYOTA MOTOR SALES, USA, INC., Plaintiff, v. EFFICIENT DRIVETRAINS INC. and THE REGENTS OF THE UNIVERSITY OF CALIFORNIA, Defendants.
Megan Whyman Olesek, Bar No. 191218 KENYON & KENYON LLP Attorneys for Plaintiffs TOYOTA MOTOR CORPORATION AND TOYOTA MOTOR SALES, USA, INC. David Martinez, Bar No. 19318 ROBINS, KAPLAN, MILLER & CIRESI L.L.P. Attorneys for Defendant EFFICIENT DRIVETRAFNS INC.; and Attorneys for Defendants THE REGENTS OF THE UNIVERSITY OF CALIFORNIA, for purposes of this submission
Megan Whyman Olesek, Bar No. 191218
KENYON & KENYON LLP
Attorneys for Plaintiffs
TOYOTA MOTOR CORPORATION AND
TOYOTA MOTOR SALES, USA, INC.
David Martinez, Bar No. 19318
ROBINS, KAPLAN, MILLER & CIRESI L.L.P.
Attorneys for Defendant
EFFICIENT DRIVETRAFNS INC.; and
Attorneys for Defendants
THE REGENTS OF THE UNIVERSITY OF CALIFORNIA, for
purposes of this submission
STIPULATION FOR FIRST EXTENSION OF
TIME THROUGH DECEMBER 22, 2011 TO
RESPOND TO COMPLAINT
Action Filed: July 20, 2011
Complaint Served: October 21, 2011
Current Response Date: November 14, 2011
New Response Date: December 22, 2011
Pursuant to Local Rule 6-1 (a), Defendants, Efficient Drivetrains Inc. and The Regents of the University of California (hereinafter "Defendants"), and Plaintiffs, Toyota Motor Corporation and Toyota Motor Sales, USA, Inc. (hereinafter, "Plaintiffs"), stipulate as follows:
WHEREAS, Defendants' current deadline to respond to the Complaint is November 14, 2011;
WHEREAS, the parties have been engaged in settlement discussions;
WHEREAS, the parties believe that an extension for Defendants to answer or respond to the Complaint would assist the parties in those settlement discussions;
WHEREAS, this Stipulation complies with Local Rule 6-1(a) in that the underlying extension will not alter the date of any event or any deadline already fixed by Court order;
WHEREAS, the Case Management Conference ("CMC") is currently scheduled for December 5, 2011, and the parties will shortly file a further Stipulation and [Proposed] Order pursuant to Local Rules 6-1(b) and 16-2(e) to continue the CMC;
IT IS HEREBY STIPULATED that Defendants shall have until December 22, 2011 to answer or otherwise respond to the Complaint.
Respectfully submitted,
KENYON & KENYON LLP
Megan Whyman Oleasek, Bar No. 191218
ATTORNEYS FOR PLAINTIFFS
TOYOTA MOTOR CORPORATION and TOYOTA
MOTOR SALES, USA, INC.
ROBINS, KAPLAN, MILLER & CIRESI L.L.P.
David Martinez, Bar No. 193183
Attorneys for Defendant
EFFICIENT DRIVETRAINS INC.; and Attorneys for
Defendants THE REGENTS OF THE UNIVERSITY OF
CALIFORNIA, for purposes of this submission