Opinion
2:23-cv-01523 JHC
11-14-2023
Cotchett, Pitre, McCarthy LLP Karin Bornstein Swope Attorneys for Plaintiff Davis Wright Tremaine LLP John A. Goldmark, WSBA #40980 MaryAnn T. Almeida, WSBA #49086 Attorneys for Defendants
Cotchett, Pitre, McCarthy LLP Karin Bornstein Swope Attorneys for Plaintiff
Davis Wright Tremaine LLP John A. Goldmark, WSBA #40980 MaryAnn T. Almeida, WSBA #49086 Attorneys for Defendants
STIPULATED MOTION AND ORDER FOR EXTENSION OF TIME TO RESPOND TO AMENDED COMPLAINT
Honorable John H. Chun United States District Judge
The parties submit this Stipulated Motion and [Proposed] Order to extend the time for Defendants Amazon.com, Inc. and Amazon.com Services LLC (“Amazon”) to move to dismiss or otherwise respond to Plaintiffs' Amended Complaint. The parties state as follows:
1. On October 24, 2023, Plaintiff filed his Amended Complaint. ECF No. 7. Under Federal Rule of Civil Procedure 12(a)(1)(A)(i), the current deadline to move to dismiss or otherwise respond is November 14, 2023.
2. Plaintiff's counsel has informed Amazon that they intend to file a motion seeking to consolidate the above-captioned case with another case before this Court, Hogan et al. v. Amazon.com, Inc., No. 2:21-cv-00996, in or about the week of November 13, 2023. Should the Court grant Plaintiff's anticipated motion, a separate response to the Amended Complaint in this action will become unnecessary; should it deny the relief Plaintiff seeks, the parties agree that they would meet and confer in good faith to agree upon a schedule for Amazon's motion or other response to the Amended Complaint.
3. In light of Plaintiff's' anticipated motion, the parties stipulate and agree that the deadline to move to dismiss or otherwise respond to the Amended Complaint, in the event one is required, is stayed until 21 days after the Court resolves Plaintiff's anticipated motion to consolidate.
4. The parties request that the Court enter this stipulation as an Order.
IT IS SO ORDERED.