Jeff Jonah v. Kimberly-Clark Corporation et al

Northern District of California, cand-4:2015-cv-03243

Order by Judge Phyllis J. Hamilton granting [60] Stipulation.(pjhlc1S, COURT STAFF)

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1 GUTRIDE SAFIER LLP ADAM J. GUTRIDE (State Bar No. 181446) 2 SETH A. SAFIER (State Bar No. 197427) MARIE A. MCCRARY (State Bar No. 262670) 3 KRISTEN SIMPLICIO (State Bar No. 263291) 100 Pine Street, Suite 1250 4 San Francisco, California 94111 Telephone: (415) 336-6545 5 Facsimile: (415) 449-6469 6 TYCKO & ZAVAREEI LLP HASSAN ZAVAREEI 7 ANDREW JONATHAN SILVER 1828 L Street, N.W., Suite 1000 8 Washington, DC 20036 Telephone: (202) 417-3658 9 SPANGENBERG SHIBLEY & LIBER LLP 10 STUART E. SCOTT 1001 Lakeside Avenue East, Suite 1700 11 Cleveland, OH 44114 Telephone: (216) 696-3232 12 Facsimile: (216) 696-3924 13 Attorneys for Plaintiffs 14 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA 15 OAKLAND DIVISION 16 JEFF JONAH, individually, and on behalf of Case No. 15-cv-03243-PJH 17 himself, the general public, and those similarly situated, STIPULATION AND [PROPOSED] ORDER 18 REGARDING AMENDED COMPLAINT Plaintiff, 19 v. 20 KIMBERLY-CLARK CORPORATION, ET 21 AL., 22 Defendants. 23 24 This Stipulation is entered into by Plaintiffs Jennifer Davidson and Jeff Jonah 25 (collectively "Plaintiffs"), and Defendant Kimberly-Clark Corporation, Kimberly-Clark 26 Worldwide, Inc., and Kimberly-Clark Global Sales LLC (collectively, "Defendants") by and 27 through their respective counsel, and is supported by the declaration of Marie A. McCrary; 28 STIPULATION AND [PROPOSED] ORDER REGARDING AMENDED COMPLAINT 1 WHEREAS, Davidson v. Kimberly-Clark Corporation, et al., Case No. 14-cv-01783-PJH 2 and Jonah v. Kimberly-Clark Corporation, et al., Case No. 15-cv-03243-PJH were deemed 3 related; 4 WHEREAS on December 20, 2018, the Court set Plaintiffs' deadline to amend the 5 complaints to January 25, 2019 (Davidson Dkt. #90; Jonah Dkt. # 58); 6 WHEREAS, Plaintiffs intend to amend their complaints; however, the lead firm 7 representing Plaintiffs is unexpectedly short staffed this week, with one attorney on vacation, one 8 attorney on a leave of absence, and another attorney out sick; further, that firm has also been 9 handling unanticipated obligations in other matters this week; 10 WHEREAS, Plaintiffs request that their deadline to file amended complaints be extended 11 by four days to allow their counsel sufficient time to finish the amended complaint; 12 WHEREAS, the Parties have agreed that Plaintiffs shall file any amended complaints no 13 later than January 29, 2019; 14 WHEREAS, this is the second time a modification of the deadline to file amended 15 complaints has been requested; 16 WHEREAS, this time modification will not have any impact on any other scheduled 17 dates; 18 NOW THEREFORE, THE PARTIES BY COUNSEL HEREBY STIPULATE: 19 Plaintiffs shall file any amended complaints no later than January 29, 2019. 20 21 SO STIPULATED 22 23 24 25 26 27 28 2 STIPULATION AND [PROPOSED] ORDER REGARDING AMENDED COMPLAINT 1 Dated: January 25, 2019 GUTRIDE SAFIER LLP 2 3 4 By: /s/ Marie A. McCrary Marie A. McCrary 5 Attorneys for Plaintiffs 6 7 DATED: January 25, 2019 SIDLEY AUSTIN LLP 8 9 By:/s/ Amy Lally Amy Lally 10 Attorneys for Defendants 11 12 IT IS SO ORDERED. 13 14 DATED: January 25, 2019 THE HONORABLE PHYLLIS J. HAMILTON 15 UNITED STATES DISTRICT JUDGE 16 17 ATTESTATION OF COMPLIANCE 18 I, Marie A. McCrary, am the ECF user whose ID and password are being used to file this 19 document. In compliance with section X(B) of General Order 45, I hereby attest that Amy Lally 20 concurred in this filing. 21 /s/ Marie A. McCrary 22 23 24 25 26 27 28 3 STIPULATION AND [PROPOSED] ORDER REGARDING AMENDED COMPLAINT