UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA
June 9, 2010
TINA WALTER, CHRISTOPHER BAYLESS, AND ERIC SCHUMACHER, INDIVIDUALLY AND ON BEHALF OF ALL OTHERS SIMILARLY SITUATED, PLAINTIFFS,
HUGHES COMMUNICATIONS, INC. AND HUGHES NETWORK SYSTEMS, LLC, DEFENDANTS.
The opinion of the court was delivered by: The Honorable Samuel Conti
STIPULATION AND [PROPOSED] ORDER CONTINUING CASE MANAGEMENT CONFERENCE
WHEREAS, there is a Case Management Conference scheduled for June 25, 2010;
WHEREAS, on March 23, 2010, the Parties participated in a full and productive day of mediation with the Hon. Ronald Sabraw (Ret.), at the JAMS offices in San Francisco, California, at which time the basic framework of a class wide settlement to this matter was discussed;
WHEREAS, the Parties have agreed to exchange drafts of proposed settlement agreements prior to their return to JAMS for another mediation session with Judge Sabraw on July 8, 2010;
WHEREAS, to allow the Parties an opportunity to meaningfully continue their discussions regarding the possible settlement of this matter, the Parties agree that the Case Management Conference should be continued until after the July 8 mediation session;
WHEREAS, in light of the mediation, the Parties previously stipulated, and the Court ordered, that the hearing on Defendants' pending Motion to Dismiss and Strike Portions of the Second Amended Consolidated Complaint be continued until September 3, 2010;
WHEREAS, the Case Management Conference has previously been set for August 28, 2009, December 4, 2009, December 18, 2009, and April 9, 2010, but has been continued by stipulation and/or order of the Court during consolidation of the Walter and Schumacher actions and during the pendency of Defendants' Motion to Dismiss Plaintiffs' Amended Consolidated Class Action Complaint;
IT IS HEREBY STIPULATED, by and between the parties and their respective counsel, that Case Management Conference scheduled for June 25, 2010 be continued to September 17, 2010.
IT IS SO STIPULATED.
DATED: June 4, 2010
AUDET & PARTNERS, LLP Joshua C. Ezrin Attorneys for Plaintiffs
PURSUANT TO THE ABOVE STIPULATION, IT IS SO ORDERED.
THE HONORABLE SAMUEL CONTI
General Order 45, X.B., I hereby attest that Joshua Ezrin concurred in this filing.
I, Robert B. Hawk, am the ECF User whose ID and password are being used to file this Stipulation and [Proposed] Order Continuing Case Management Conference. In compliance with General Order 45, X.B., I hereby attest that Joshua Ezrin concurred in this filing.
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