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Melissa Arechiga, Individually and On Behalf v. Gamestop Corp.

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION


July 6, 2011

MELISSA ARECHIGA, INDIVIDUALLY AND ON BEHALF OF ALL OTHERS SIMILARLY SITUATED,
PLAINTIFFS,
v.
GAMESTOP CORP., A DELAWARE COMPLAINT CORPORATION, AND GAMESTOP, INC., A DELAWARE CORPORATION, DEFENDANTS.

The opinion of the court was delivered by: Susan Illston U.S. District Court Judge

MOLLY MORIARTY LANE, State Bar No. 149206 DIANE L. WEBB, State Bar No. 197851 LORELEI A. CRAIG, State Bar No. 244104 MORGAN, LEWIS & BOCKIUS LLP One Market, Spear Street Tower San Francisco, CA 94105-1126 Tel: 415.442.1000 Fax:: 415.442.1001 E-mail mlane@morganlewis.com dwebb@morganlewis.com lorelei.craig@morganlewis.com Attorneys for Defendants GAMESTOP CORP. and GAMESTOP, INC. H. TIM HOFFMAN, State Bar No. 049141) ARTHUR W. LAZEAR, State Bar No. 083603) CHAD A. SAUNDERS, State Bar No. 257810) HOFFMAN & LAZEAR 180 Grand Avenue, Suite 1550 Oakland, California 94612 Tel: 510.763.5700 Fax: 510.835.1311 Email: cas@hoffmanandlazear.com Newman Strawbridge (SBN 171360) LAW OFFICE OF NEWMAN STRAWBRIDGE 719 Orchard Street Santa Rosa, CA 95404 Tel: 707.523.3377 Attorneys for Plaintiff MELISSA ARECHIGA

Filed: February 23, 2011

Trial Date: Not Set

JOINT STIPULATION TO CONTINUE INITIAL CASE MANAGEMENT CONFERENCE AND [PROPOSED] ORDER

Defendants GameStop Corp. and GameStop, Inc. (jointly, "GameStop") and plaintiff Melissa Arechiga ("Plaintiff) hereby enter into this stipulation to continue the initial case 3 management conference scheduled for today, July 1, 2011, subject to the Court's approval. 4

Accordingly, GameStop and Plaintiff hereby stipulate as follows:

STIPULATION

WHEREAS, Plaintiff initiated the above-referenced action in the United States District

Court in and for the Northern District of California by filing a complaint on or about February 23, 2011 (the "Complaint");

WHEREAS, GameStop moved to dismiss and/or to strike the Complaint;

WHEREAS, Plaintiff filed a first amended complaint (the "FAC") on or about May 20, 2011, and, in turn, GameStop took its motion to dismiss and to strike the Complaint off calendar;

WHEREAS, on June 3, 2011, counsel for Plaintiff and GameStop agreed to extend the initial case management conference due to their ongoing discussions regarding voluntary 14 dismissal of the FAC, and at the parties request the Court entered an order continuing the initial 15 case management conference to July 1, 2011;

WHEREAS, counsel for Plaintiff and GameStop continue to work towards a potential voluntary dismissal of the FAC and to that end have exchanged informal discovery but need 18 additional time for Plaintiff to determine whether she will voluntarily dismiss the FAC;

WHEREAS GameStop's response to the FAC is now due on July 15, 2011, by stipulation of the parties filed on June 30, 2011; and

WHEREAS, in light of the above, subject to Court approval, Plaintiff and GameStop request that the initial case management conference scheduled for July 1, 2011, be continued to July 29, 2011.

NOW THEREFORE, THE PARTIES HEREBY STIPULATE and AGREE as follows:

The initial case management conference scheduled for Friday, July 1, 2011, at 2:30 p.m., 26 should be continued to July 29, 2011, at 2:30 p.m., subject to Court approval, to allow the parties 27 additional time to work on a potential dismissal of the FAC.

IT IS SO STIPULATED:

Pursuant to the Parties' stipulation,

IT IS SO ORDERED.

Dated: July __, 2011

By

20110706

© 1992-2011 VersusLaw Inc.



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