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Rob Zombie, A/K/A Robert Wolfgang v. Umg Recordings

October 6, 2011

ROB ZOMBIE, A/K/A ROBERT WOLFGANG ZOMBIE, F/K/A ROBERT CUMMINGS; WHITE ZOMBIE, A GENERAL PARTNERSHIP; WHITESNAKE, A DOING BUSINESS AS DESIGNATION OF DAVID COVERDALE, BY AND FOR WHITESNAKE PRODUCTIONS (OVERSEAS) LIMITED; AND DAVE MASON,
INDIVIDUALLY AND ON BEHALF OF ALL OTHERS SIMILARLY SITUATED,
PLAINTIFFS,
v.
UMG RECORDINGS, INC., A DELAWARE CORPORATION,
DEFENDANT.



The opinion of the court was delivered by: The Honorable Susan Illston

David M. Given (State Bar No. 142375) Jeffrey D. Goldman (State Bar No. 155589) dmg@phillaw.com jgoldman@jmbm.com 2 Nicholas A. Carlin (State Bar No. 112532) Ryan S. Mauck (State Bar No. 223173) 3 nac@phillaw.com rmauck@jmbm.com Alexander H. Tuzin (State Bar No. Brian M. Yates (State Bar No. 241798) 4 267760) byates@jmbm.com aht@phillaw.com JEFFER MANGELS BUTLER & MITCHELL PHILLIPS, ERLEWINE & GIVEN LLP LLP 50 California Street, 35th Floor 1900 Avenue of the Stars, Seventh Floor San Francisco, CA 94111 Telephone: 415-398-0900 Los Angeles, California 90067-4308 7 Facsimile: 415-398-0911 Telephone: 310-203-8080 Facsimile: 310-203-0567 Attorneys for Plaintiffs Attorneys for Defendant

STIPULATION AND [PROPOSED] ORDER CONTINUING CASE MANAGEMENT CONFERENCE

Plaintiffs in the above-captioned action and Defendant UMG Recordings, Inc., by and through their counsel, hereby stipulate as follows: 3

WHEREAS, Plaintiffs in this case filed their complaint on May 18, 2011;

WHEREAS, on June 1, 2011, the Court issued an Order relating this case to the case 5 entitled Rick James et. al. v. UMG Recordings, Inc., Case No. CV 11-01613 SI (the "James 6 Action"); 7

WHEREAS, a further Case Management Conference is currently scheduled in this case, 8 as well as in the James Action, for October 14, 2011 at 3:00 p.m.;

WHEREAS, due to prior-scheduled commitments, counsel for Plaintiffs are unavailable for a Case Management Conference on October 14, 2011, and the parties therefore wish to 11 continue the upcoming further Case Management Conference to the next date that is available for 12 the Court and the parties; 13

WHEREAS, the parties therefore jointly and respectfully request that the Court continue 14 the upcoming further Case Management Conference until November 4, 2011 at 3:00 p.m.; 15

WHEREAS, the purpose of this request is not for delay;

WHEREAS, the requested continuance will not alter any other deadlines set by the Court;

WHEREAS, concurrent with the filing of this stipulation, the parties in the James Action are filing a similar request to continue the Case Management Conference in that case to the same 19 date, November 4, 2011 at 3:00 p.m.;

IT IS HEREBY STIPULATED THAT:

1. The parties respectfully request that the upcoming further Case Management Conference be continued from October 14, 2011 ...


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