The opinion of the court was delivered by: The Honorable Claudia Wilken United States District Judge
STIPULATION AND ORDER FOR EXTENDING THE PAGE LIMIT FOR BRIEFING ON MOTION TO DISMISS
WHEREAS, lead plaintiff filed his Consolidated Second Amended Class Action Complaint for Violation of the Federal Securities Laws in this action on September 19, 2008 (Dkt. No. 48), and defendants filed a Motion to Dismiss Plaintiffs' Consolidated Second Amended Complaint for Violation of the Federal Securities Laws ("Motion to Dismiss") on November 14, 2008 (Dkt. No. 5 56);
WHEREAS, pursuant to Civil Local Rule 7-4(b), lead plaintiff is to have 25 pages to respond to defendants' Motion to Dismiss, due December 22, 2008;
WHEREAS, lead plaintiff believes that because of the number and complexity of the issues raised in defendants' Motion to Dismiss, lead plaintiff will need an additional five pages to fully respond to all of defendants' arguments; and
WHEREAS, defendants do not oppose an extension of the page limit for lead plaintiff's response to 30 pages.
IT IS THEREFORE STIPULATED AND AGREED by lead plaintiff and defendants, through their respective counsel of record, that, subject to the Court's approval, lead plaintiff shall have 30 pages to respond to defendants' Motion to Dismiss.
I, Daniel J. Pfefferbaum, am the ECF User whose ID and password are being used to file this STIPULATION AND [PROPOSED] ORDER FOR EXTENDING THE PAGE LIMIT FOR BRIEFING AND MOTION TO DISMISS. In compliance with the General Order 45, X.B., I hereby attest that Laurence A. Weiss has concurred in this filing.
PURSUANT TO STIPULATION, lead plaintiff shall have 30 pages to respond to defendants' Motion to Dismiss.
I hereby certify that on December 18, 2008, I electronically filed the foregoing with the Clerk of the Court using the CM/ECF system which will send notification of such filing to the e-mail addresses denoted on the attached Electronic Mail Notice List, and I hereby certify that I have mailed the foregoing document or paper via the United States ...