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Chris Chavez, An Individual, On Behalf of Himself, the General Public and Those Similarly Situated v. Blue Sky Natural Beverage Co. A Foreign Corporation

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA


December 8, 2011

CHRIS CHAVEZ, AN INDIVIDUAL, ON BEHALF OF HIMSELF, THE GENERAL PUBLIC AND THOSE SIMILARLY SITUATED, PLAINTIFFS,
v.
BLUE SKY NATURAL BEVERAGE CO. A FOREIGN CORPORATION;
HANSEN BEVERAGE COMPANY, A FOREIGN CORPORATION;
HANSEN NATURAL CORP., A FOREIGN CORPORATION; AND DOES 1 THROUGH 10, INCLUSIVE, 23 DEFENDANTS.

The opinion of the court was delivered by: Judge: Hon. Jacqueline Scott Corley

Adam J. Gutride [SBN.181466] Seth A. Safier [SBN. 197427] 2 GUTRIDE SAFIER LLP 835 Douglass Street 3 San Francisco, California 94114 Telephone: (415) 271-6469 4 Facsimile: (415) 449-6469 Class Counsel Norman L. Smith [SBN 106344] 6 nsmith@swsslaw.com Tanya M. Schierling [SBN 206984] 7 tschierling@swsslaw.com Edward J. McIntyre [SBN 80402] 8 emcintyre@swsslaw.com SOLOMON WARD SEIDENWURM & SMITH, LLP 9 401 B Street, Suite 1200 San Diego, California 92101 10 Telephone: (619) 231-0303 Facsimile: (619) 231-4755 11 Attorneys for Defendants Blue Sky Natural Beverage Co., Hansen Beverage Company 12 and Hansen Natural Corporation 13

Dept: Courtroom E, 15th Floor 21

JOINT STIPULATION FURTHER 18 EXTENDING DEADLINES RE ORDER DENYING MOTION FOR SANCTIONS (DKT.# 292) AND [PROPOSED] ORDER

for sanctions (Dkt.# 292) (the "Order"); 4 extension of certain deadlines in relation to the Order, in light of ongoing settlement discussions;

The Parties, through their undersigned counsel, stipulate as follows:

WHEREAS, on October 12, 2011, the Court issued an Order denying Plaintiff's request

WHEREAS, on October 20, 2011, the Parties filed a stipulation (Dkt. # 295) requesting an

WHEREAS, on October 24, 2001, the Court, pursuant to the Parties' stipulation, ordered (Dkt. # 297) that shall be extended until ten days after the termination of settlement discussions, but in any event no 10 later than December 11, 2011; and discovery permitted by the Order and their meet and confer efforts shall be extended from

1. The time for Plaintiff to move for leave to seek reconsideration of the Order

2. The time for the Parties to file the joint written update on the additional October 21, 2011 until seven days after the termination of settlement discussions, but in any event 14 no later than December 8, 2011. 15 to finalize a term sheet by December 9, 2011; 17

extended until December 18, 2011; and 20 permitted by the Order and their meet and confer efforts shall be extended until December 15,

WHEREAS, the parties have made substantial progress in their settlement efforts and hope

NOW, THEREFORE, the Parties agree, and respectfully request that the Court order, that:

1. The time for Plaintiff to move for leave to seek reconsideration of the Order shall be

2. The time for the Parties to file the joint written update on the additional discovery 2011.

Respectfully submitted,

For GOOD CAUSE shown, IT IS SO ORDERED.

Jacqueline Scott Corley U.S. Magistrate Judge

20111208

© 1992-2011 VersusLaw Inc.



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