DEVAN J. MCCARTY (SBN 205237) DLP PIPER LLP (US) 400 Capitol Mall, Suite 2400 Sacramento, California 95814 Telephone: 916.930.3200 Facsimile: 916.930.3201 Email: firstname.lastname@example.org J.A. FELTON (Missouri Bar No. 39549) (Kansas Bar No. 23765) (Admitted Pro Hac Vice) R. CAMERON GARRISON (Missouri Bar No. 54064) (Kansas Bar No. 21128) (Admitted Pro Hac Vice) Lathrop & Gage LLP 2345 Grand Boulevard, Suite 2200 Kansas City, Missouri 64108-2618 Telephone: 816.292.2000 Facsimile: 816.292.2001 Email: email@example.com; firstname.lastname@example.org Attorneys for Defendants SOFTWARE SOLUTIONS INTEGRATED, LLC, AND SOFTWARE SOLUTIONS OF ILLINOIS, INC.
JOINT STIPULATION AND ORDER TO CHANGE HEARING DATE FOR PLAINTIFF CDMS' MOTION TO MODIFY SCHEDULING ORDER AND FOR , LEAVE TO AMEND
This stipulation is entered into by and between plaintiff Crop Data Management Systems, Inc. ("CDMS") and defendants Software Solutions Integrated, LLC and Software Solutions of Illinois, Inc. (collectively, "SSI), through their respective counsel of record, with reference to the following facts:
WHEREAS, on January 17, 2012, CDMS filed its Motion to Modify Scheduling Order and for Leave to Amend (the "Motion"), which appears at Docket No. 20; and,
WHEREAS, CDMS's set the Motion for hearing on February 27, 2012; and,
WHEREAS, counsel for SSI is scheduled to be in New York, New York on that date for depositions in a separate matter; and,
WHEREAS, counsel for SSI requested that the hearing in this matter be moved to March 12, 2012 and counsel for CDMS agreed to such change.
WHEREFORE, THE PARTIES HEREBY STIPULATE that, subject to the Court's approval, the hearing on Plaintiff's Motion to Modify Scheduling Order and for Leave to Amend (Docket No. 20) shall be held on March 12, 2012 at 10:00 a.m.
IT IS SO STIPULATED, THROUGH COUNSEL OF RECORD.
PURSUANT TO STIPULATION, IT IS SO ORDERED.
© 1992-2012 VersusLaw ...