CURTIS AND CHARLOTTE WESTLEY, Individually and on Behalf of All Others Similarly Situated, Plaintiffs,
OCLARO, INC., et al., Defendants. In re OCLARO, INC. DERIVATIVE LITIGATION This Document Relates To: Westley
Oclaro, Inc., et al., C11-02448-EMC No. C11-3176-EMC
ROBBINS GELLER RUDMAN & DOWD LLP, SHAWN A. WILLIAMS (213113), SUNN.Y.S. SARKIS (258073), San Francisco, CA, and JULIE A. KEARNS (246949), San Diego, CA, Counsel for Plaintiffs.
ROBERT M. CHEVERIE & ASSOCIATES GREGORY S. CAMPORA, East Hartford, CT, HOLZER HOLZER & FISTEL, LLC, MICHAEL I. FISTEL, JR., Atlanta, GA, DYER & BERENS LLP, ROBERT J. DYER III, JEFFREY A. BERENS, Denver, CO, Counsel for Plaintiff.
ALSTON & BIRD LLP, GIDON M. CAINE, Menlo Park, CA, ALSTON & BIRD LLP JESSICA P. CORLEY (admitted pro hac vice), ANDREW T. SUMNER (admitted pro hac vice), Atlanta, Georgia, Counsel for Defendants.
ORDER RESETTING CMC TO 2/13/14 AT 10:30 A.M.
EDWARD M. CHEN, District Judge.
JOINT CASE MANAGEMENT STATEMENT
In July 2013, the parties agreed to and did attend a mediation on August 27, 2013 before the Honorable Layn R. Phillips (Ret.) at the law offices of Irell & Manella LLP in Newport Beach, California. On October 28, 2013, the parties filed with the Court their most recent Stipulation with Proposed Order Rescheduling Case Management Conference (Dkt. No. 167), indicating the parties have reached an agreement in principle, and have been working diligently to finalize a stipulation of settlement. As of the date of this submission (December 3, 2013), the parties expect to file settlement papers with the Court on or before December 24, 2013. Considering the foregoing, the parties respectfully request that the Court adjourn the Case Management Conference scheduled for December 10, 2013 at 10:30 a.m.
I, Shawn A. Williams, am the ECF User whose identification and password are being used to file the Joint Case Management Statement. In compliance with Local Rule 5-1(i)(3), I hereby attest ...