UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA
February 25, 2011
TRISHA WREN AND CYNTHIA PIPER, ET AL.,
INDIVIDUALLY AND BEHALF OF OTHERS SIMILARLY SITUATED,
RGIS INVENTORY SPECIALISTS, LLC, RGIS, LLC,
DOES 1-25 INCLUSIVE,
HONORABLE JOSEPH C. SPERO
The opinion of the court was delivered by: Hon. Joseph C. Spero Judge United States Magistrate Judge
CLASS AND COLLECTIVE ACTION STIPULATION AND [PROPOSED] ORDER REGARDING EXTENSION OF DEADLINE FOR SUPPLEMENTAL SUBMISSION IN SUPPORT OF PLAINTIFFS' MOTIONS FOR ATTORNEYS' FEES AND SERVICE
STIPULATION AND [PROPOSED] ORDER RE SUPPLEMENTAL SUBMISSION IN SUPPORT OF PLAINTIFFS' MOTIONS FOR ATTORNEYS' FEES AND SERVICE AWARDS
Additional counsel: David Borgen (SBN 099354) 3 email@example.com James Kan (SBN 240749) 4 firstname.lastname@example.org GOLDSTEIN, DEMCHAK, BALLER, 5 BORGEN & DARDARIAN 300 Lakeside Drive, Suite 1000 6 Oakland, CA 94612 Telephone: (510) 763-9800 7 Facsimile: (510) 835-1417 8 Peter Schneider, pro hac vice email@example.com 9 Keith Grady, pro hac vice firstname.lastname@example.org 10 GRADY SCHNEIDER, LLP 801 Congress, Suite 400 11 Houston, TX 77002 Telephone: (713) 228-2200 12 Facsimile: (713) 228-2210 13 Jose R. Mata (SBN 83724) email@example.com 14 BAILEY PINNEY PC 1498 SE Mill Plain Blvd, Suite 100 15 Vancouver, WA 98683 Telephone: (360) 567-2551 16 Facsimile: (360) 567-3331
WHEREAS the parties have submitted a proposed class settlement in the above-captioned 3 matter;
WHEREAS the Court granted preliminary approval of the proposed class settlement on September 16, 2010;
WHEREAS the Court heard Plaintiffs' Unopposed Motion for Final Approval of Settlement 7 on January 28, 2011;
WHEREAS the Court ordered Plaintiffs to file any unfiled objections to the proposed 9 settlement, supplemental attorney declarations in support of Plaintiffs' Counsel's fee application, 10 and declarations from the named Plaintiffs and class representatives in support of Plaintiffs' Motion for Service Awards to the Named Plaintiffs, Class Representatives, and Opt-In Plaintiff Lund; 13
WHEREAS a further hearing on this motion is scheduled for March 25, 2011;
WHEREAS the Court ordered Plaintiffs to file these supplemental papers by February 28, 2011;
WHEREAS Plaintiffs' Counsel have encountered difficulties in contacting each of the 17 twenty-five named Plaintiffs and class representatives to obtain their declarations;
WHEREAS Plaintiffs seek to extend the February 28, 2011 deadline by fourteen (14) days to March 14, 2011;
WHEREAS Defendant does not oppose such an extension;
IT IS HEREBY STIPULATED by and between the parties through their counsel of record 2 that the February 28, 2011 deadline to file the aforementioned supplemental papers be extended by 3 fourteen (14) days to March 14, 2011.
IT IS SO STIPULATED.
COTTRELL BRAYTON KONECKY LLP
ANDREW P. LEE Attorneys for Plaintiffs Dated: February 25, 2011 AKIN GUMP STRAUSS HAUER & FELD, LLP 11 By: /s/ MICHAEL S. MCINTOSH Attorneys for Defendants
I, Andrew P. Lee, am the ECF User whose ID and password are being used to file this Stipulation and [proposed] Order Regarding Extension of Deadline for Supplemental Submission 16 in Support of Final Approval of Class Action Settlement. In compliance with General Order 45, X.B., I attest that Michael McIntosh has concurred in this filing.
The Court, having reviewed the parties' stipulation, and good cause appearing, hereby 21 extends the February 28, 2011 deadline by fourteen (14) days. Plaintiffs have until March 14, 2011 22 to file the unfiled objections, supplemental attorney declarations, and named Plaintiff and class 23 representative declarations.
AT CT S
IT IS SO ORDERED. R
T T N U A
Joseph Spero R
Feb. 28, 2011
RN F C
© 1992-2011 VersusLaw Inc.