Locke v. QuiBids LLCMOTION for Extension of Time to Answer or Otherwise Respond to First Amended ComplaintW.D. Okla.December 29, 2010 1 6442476_1.DOC IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF OKLAHOMA LAWRENCE A. LOCKE, individually and on behalf of all others similarly situated, Plaintiff, v. Case No. 5:10-cv-01277-F QUIBIDS, LLC, Defendant. MOTION FOR ENLARGEMENT OF TIME TO ANSWER OR OTHERWISE RESPOND TO FIRST AMENDED COMPLAINT Defendant QuiBids, LLC (“QuiBids”) respectfully moves the Court for an enlargement of time to answer or otherwise respond to the First Amended Complaint (“FAC”) as follows: 1. The original Complaint in this matter was filed on November 30, 2010. Because the FAC was filed prior to the response date for the original Complaint, QuiBids did not answer or otherwise respond to the original Complaint. 2. The FAC was filed on December 17, 2010, and served via certified mail to QuiBids’ office in Oklahoma City, pursuant to FED. R. CIV. P 5(b)(2)(C). No return of service has been filed with the Court, but QuiBids believes that the FAC was received and signed for in its office on Monday, December 20, 2010. 3. Based on the date and manner of service, the response to the FAC currently is due on January 3, 2011. FED. R. CIV. P. 6(d); 15. Case 5:10-cv-01277-F Document 18 Filed 12/29/10 Page 1 of 4 2 6442476_1.DOC 4. Counsel for QuiBids learned of the filing of the FAC on December 22, 2010, by means of an email exchange with Plaintiff’s counsel. 5. Given the nature of the allegations contained in the FAC (which, together with exhibits, totals 86 pages), QuiBids needs additional time to respond. For example, QuiBids will want to assess Plaintiff’s allegations regarding alleged non-disclosures and to analyze law from Oklahoma and other states with comparable consumer protection laws, because QuiBids will want to consider the appropriateness of filing a motion to dismiss. In addition, counsel for QuiBids has significant other obligations throughout January, including out-of-state depositions. 6. Thus, QuiBids respectfully requests that the Court grant it an extension to and including February 4, 2011, to answer or otherwise respond to the FAC. 7. QuiBids previously filed a Motion for Enlargement of Time to respond to the original complaint [Docket No. 14] but that Motion was moot at the time filed, as QuiBids was not yet aware that the FAC had been filed. Thus, QuiBids withdrew the motion before the Court ruled on it. 8. Counsel for QuiBids has communicated with Plaintiff’s counsel about the relief requested herein. Plaintiff’s counsel stated that he would agree to an extension until January 18, 2011. 9. Allowing QuiBids to file its response on or before February 4, 2011, will not unfairly prejudice any party to this litigation nor cause the extension of any date scheduled in this matter, as there currently is no scheduling order governing this litigation. Case 5:10-cv-01277-F Document 18 Filed 12/29/10 Page 2 of 4 3 6442476_1.DOC WHEREFORE, Defendant QuiBids, LLC respectfully requests that it be granted an extension until February 4, 2011, to file its response to the First Amended Complaint. /s/ Tamara Schiffner Pullin Reid Robison, OBA #7692 Michael D. McClintock, OBA #18105 Tamara Schiffner Pullin, OBA #21462 McAfee & Taft A Professional Corporation 10 th Floor, Two Leadership Square 211 North Robinson Avenue Oklahoma City, OK 73102 Telephone: (405) 235-9621 Facsimile: (405) 235-0439 ATTORNEYS FOR QUIBIDS, LLC Case 5:10-cv-01277-F Document 18 Filed 12/29/10 Page 3 of 4 4 6442476_1.DOC CERTIFICATE OF SERVICE I hereby certify that on December 29th, 2010, I electronically transmitted the attached document to the Clerk of Court using the ECF System for filing and transmittal of a Notice of Electronic Filing to the following registrants: EDWARD L. WHITE, P.C. 9301 Cedar Lake Ave., Suite 200 Oklahoma City, Oklahoma 73114 Telephone: (405) 810-8188 Facsimile: (405) 608-0971 Email: ed@edwhitelaw.com Roger L. Mandel rmandel@beckham-mandel.com Blake L. Beckham bbeckham@beckham-mandel.com Jose M. Portela c2coast@aol.com Sarita A. Smithee ssmithee@beckham-mandel.com BECKHAM & MANDEL 3400 Carlisle Street, Suite 550 Dallas, Texas 75204 s/ Tamara Schiffner Pullin Case 5:10-cv-01277-F Document 18 Filed 12/29/10 Page 4 of 4