The opinion of the court was delivered by: Judge: Honorable Elizabeth D. Laporte
MATTHEW J. JACOBS (SBN 171149) email@example.com 2 JESSICA S. MUSSALLEM (SBN 273806) firstname.lastname@example.org VINSON & ELKINS LLP 525 University Avenue, Suite 410 4 Palo Alto, CA 94301-1918 Tel: (650) 687-8200 / Fax: (650) 618-1970 5 CHRISTOPHER V. RYAN (pro hac vice) 6 email@example.com AJEET P. PAI (pro hac vice) 7 firstname.lastname@example.org VINSON & ELKINS LLP 8 The Terrace 7 2801 Via Fortuna, Suite 100 9 Austin, TX 78746 Tel: (512) 542-8400 / Fax: (512) 542-8612 10 Attorneys for Plaintiff and Counter-Respondent ARIBA, INC. 12 13
STIPULATION AND [PROPOSED] ORDER CONTINUING THE CASE MANAGEMENT CONFERENCE FROM NOVEMBER 29, 2011 TO DECEMBER 13, 2011
Dept: Courtroom F, 15th Floor
Dated Complaint filed: April 4, 2011
WHEREAS the Court issued an order on September 19, 2011, setting a case management 3 conference for November 29, 2011 at 10:00 a.m. and that a joint case management statement shall be 4 filed no later than November 22, 2011;
AND RELATED CROSS-ACTION. 25 26 27 28
WHEREAS, on November 2, 2011, Plaintiff moved to compel 30(b)(6) deposition and 6 production of related documents from Defendants (Docket No. 48). The motion is noted for 7 December 13, 2011 at 2:00 p.m.;
WHEREAS, on August 23, 2011, the Court instructed the parties to meet and confer 9 regarding the Defendants' request to phase discovery in stages;
WHEREAS the parties have met and conferred to discuss the Court's order and scheduling 11 going forward and agree that it would be more efficient to hold one hearing; 12 Ariba, by and through counsel Matthew J. Jacobs, and Defendants, by and through counsel Stuart L. Gasner, hereby stipulate and agree that the Case Management Conference currently 14 scheduled for November 29, 2011 should be continued until December 13, 2011 and conducted 15 jointly with the hearing on the Motion to Compel and that the joint case management statement shall 16 be filed no later than December 6, 2011.
GENERAL ORDER 45, SECTION X.B.
I, Matthew J. Jabobs, hereby attest that Stuart L. Gasner has
concurred in the filing of this