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Goodlick v. Apple

August 5, 2010

MICHAEL JAMES GOODLICK, ET AL. PLAINTIFFS,
v.
APPLE, INC. AND AT&T CORP. DEFENDANTS.
ALAN BENVENISTY, PLAINTIFF,
v.
APPLE, INC., DEFENDANT.
CHRISTOPHER DYDYK, PLAINTIFF,
v.
APPLE, INC. AND AT&T, INC., DEFENDANTS.
JEFFREY ROGERS, PLAINTIFF,
v.
APPLE, INC., DEFENDANT.
STEVE TIETZE, PLAINTIFF,
v.
APPLE, INC., DEFENDANT.
CHARLES PASANO, PLAINTIFFS,
v.
APPLE, INC. AND AT&T DEFENDANTS.
A. TODD MAYO PLAINTIFFS,
v.
APPLE, INC. DEFENDANTS.
GREG AGUILERA, II PLAINTIFF,
v.
APPLE, INC. AND AT&T CORP. DEFENDANTS.



The opinion of the court was delivered by: Ira P. Rothken District Judge

JOINT STIPULATION EXTENDING TIME TO RESPOND TO COMPLAINTS: ORDER

WHEREAS, Plaintiffs in the eight above-captioned cases located in the Northern District of California are in the process of relating the proposed nationwide class actions brought on behalf of all "iPhone 4" users alleging, among other things, design defects and loss of service, and to relate those cases in the Northern District of California under Civil L.R. 3-12 before the Hon. Ronald M. Whyte;

WHEREAS, an extension is necessary to give time for the pending motion to relate the cases before Judge Whyte to be decided;*fn1

WHEREAS, Defendant Apple Inc. ("Apple") has been served at various times in the various actions with various due dates for responsive pleadings;

WHEREAS, Plaintiffs and Apple have agreed that the deadline for any and all responsive pleadings currently due should have one due date and thus be extended up through and including Monday, August 30, 2010;

NOW THEREFORE, Plaintiffs and Apple, through their counsel of record, stipulate to the following:

IT IS HEREBY STIPULATED that, Defendants' responsive pleadings to the complaints (or amended complaints, as applicable) in the above-captioned cases shall be extended up through and including Monday, August 30, 2010.

IT IS SO STIPULATED:

DATED: July 22, 2010

GARDY & NOTIS, LLP Jennifer Sarnelli Attorneys for Plaintiff

ALAN BENVENISTY GARDY & NOTIS, LLP 560 Sylvan Avenue Englewood Cliffs, NJ 07632 201.567.7377 phone 201.567.7337 fax jsarnelli@gardylaw.com

MASON LLP Gary E. Mason Attorney for Plaintiff

CHRISTOPHER DYDYK MASON LLP 1625 Massachusetts Avenue, N.W., Suite 605 Washington, DC 20036 Tel: 202-429-2290 Fax: ...


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