Yordy
v.
Plimus, Inc.

This case is not covered by Casetext's citator
UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISIONMar 16, 2012
Case No. 12-cv-00229-TEH (N.D. Cal. Mar. 16, 2012)

Case No. 12-cv-00229-TEH

03-16-2012

KIMBERLY YORDY, on behalf of herself and all others similarly situated, Plaintiff, v. PLIMUS, INC., a California corporation, and GREAT HILL PARTNERS, LLC, a Massachusetts limited liability company, Defendants.

KIMBERLY YORDY, on behalf of herself and all others similarly situated, By: Sean P. Reis One of Plaintiff's Attorneys Sean P. Reis (SBN 184004) EDELSON MCGUIRE LLP Rancho Santa Margarita, California 92688 Rafey S. Balabanian (Admitted Pro Hac Vice) Christopher L. Dore (Admitted Pro Hac Vice) Benjamin H. Richman (Admitted Pro Hac Vice) EDELSON McGUIRE LLC PLIMUS, INC. and GREAT HILL PARTNERS, LLC, By: J ordan M. Heinz One of Defendants' Attorneys Nickolas A. Kacprowski (SBN 242684) KIRKLAND & ELLIS LLP San Francisco, California 94104 Jeffrey L. Willian (Admitted Pro Hac Vice) Jordan M. Heinz (Admitted Pro Hac Vice) Sylvia Nichole Winston (Admitted Pro Hac Vice) KIRKLAND & ELLIS LLP Chicago, Illinois 60654


Sean P. Reis (SBN 184004)


EDELSON MCGUIRE LLP


Rancho Santa Margarita, California 92688


Attorneys for Plaintiff Kimberly Yordy

Nickolas A. Kacprowski (SBN 242684)


KIRKLAND & ELLIS LLP


San Francisco, California 94104


Attorneys for Defendants Plimus, Inc. and Great Hill Partners, LLC

[Additional counsel included in signature block.]

STIPULATION FOR EXTENSION OF

BRIEFING SCHEDULE RELATED TO

DEFENDANTS' MOTION TO DISMISS COMPLAINT


Judge: Honorable Thelton E. Henderson

Action filed: January 13, 2012

Pursuant to Local Rule 7-12 and this Court's Standing Order, Plaintiff Kimberly Yordy and Defendants Plimus, Inc. ("Plimus") and Great Hill Partners, LLC ("Great Hill") (collectively, the "Parties"), by and through their undersigned counsel, hereby stipulate and agree to extend the briefing schedule on Defendants' pending motion to dismiss Plaintiff's Complaint. In support of the instant stipulation, the Parties state as follows:

WHEREAS, on January 13, 2012, Plaintiff Yordy filed her putative class action complaint (the "Complaint") against Plimus and Great Hill, (Dkt. No. 1);

WHEREAS, on March 2, 2012, Plimus and Great Hill jointly moved to dismiss the Complaint in its entirety, (Dkt. No. 29);

WHEREAS, Plaintiff is currently reviewing the arguments made in Defendants' pending motion;

WHEREAS, Plaintiff requires additional time to prepare an adequate response to Defendants' motion;

WHEREAS, the Parties have conferred regarding Plaintiff's need for additional time to prepare a response to Defendants' motion, and have agreed that she may have an extension of time through and including March 23, 2012, to file her opposition to the motion;

WHEREAS, the Parties have further agreed that following the filing of Plaintiff's opposition, Defendants shall have through and including April 6, 2012, to reply in support of their motion;

WHEREAS, good cause exists for the extensions of time contemplated herein and such extensions are not sought for any improper purpose;

NOW THEREFORE, IT IS HEREBY STIPULATED AND AGREED:

1. Plaintiff shall have an extension of time through and including March 23, 2012, to file her response to Defendants' pending motion to dismiss the Complaint;

2. Defendants shall have through and including April 6, 2012, to file a reply in support of their motion to dismiss the Complaint; and,

3. All other briefing deadlines with respect to Defendants' pending motion to dismis the Complaint are hereby vacated.

IT IS SO STIPULATED.

KIMBERLY YORDY, on behalf of herself and all


others similarly situated,


By: Sean P. Reis


One of Plaintiff's Attorneys


Sean P. Reis (SBN 184004)


EDELSON MCGUIRE LLP


Rancho Santa Margarita, California 92688


Rafey S. Balabanian (Admitted Pro Hac Vice)


Christopher L. Dore (Admitted Pro Hac Vice)


Benjamin H. Richman (Admitted Pro Hac Vice)


EDELSON McGUIRE LLC


PLIMUS, INC. and GREAT HILL


PARTNERS, LLC,


By: Jordan M. Heinz


One of Defendants' Attorneys


Nickolas A. Kacprowski (SBN 242684)


KIRKLAND & ELLIS LLP


San Francisco, California 94104

Jeffrey L. Willian (Admitted Pro Hac Vice)


Jordan M. Heinz (Admitted Pro Hac Vice)


Sylvia Nichole Winston (Admitted Pro Hac Vice)


KIRKLAND & ELLIS LLP


Chicago, Illinois 60654


PURSUANT TO STIPULATION, IT IS SO ORDERED.

__________________________________


HONORABLE THELTON E. HENDERSON


UNITED STATES DISTRICT JUDGE