JABBARI v. WELLS FARGO & COMPANY

Case No. 15-CV-02159 VC.

SHAHRIAR JABBARI and KAYLEE HEFFELFINGER, on behalf of themselves and all others similarly situated, Plaintiffs, v. WELLS FARGO & COMPANY and WELLS FARGO BANK, N.A., Defendants.

United States District Court, N.D. California, San Francisco Division.

August 14, 2015.


Attorney(s) appearing for the Case

BART H. WILLIAMS , MANUEL F. CACHÁN , MUNGER, TOLLES & OLSON LLP, Los Angeles, California, DAVID H. FRY , JESLYN MILLER , MUNGER, TOLLES & OLSON LLP, San Francisco, California, Attorneys for Defendants, WELLS FARGO & COMPANY and WELLS FARGO BANK, N.A.

KELLER ROHRBACK, L.L.P. Matthew J. Preusch , Khesraw Karmand , Santa Barbara, CA, Gretchen Freeman Cappio , admitted pro hac vice, Daniel P. Mensher , admitted pro hac vice, KELLER ROHRBACK L.L.P., Seattle, WA, Attorneys for Plaintiffs, Shahriar Jabbari and Kaylee Heffelfinger.


STIPULATION REGARDING BRIEFING SCHEDULE FOR MOTION TO DISMISS THE CONSOLIDATED AMENDED COMPLAINT AND ORDER

This Stipulation is made by and between Plaintiffs Shahriar Jabbari and Kaylee Heffelfinger, on the one hand, and Defendants Wells Fargo Bank, N.A. and Wells Fargo & Company, on the other, as follows:

WHEREAS, Defendants were served with the summons and complaint in this action on or about May 19, 2015;

WHEREAS, Defendants filed a motion to dismiss the complaint on July 9, 2015 (Dkt. No. 31);

WHEREAS, Plaintiffs filed a Consolidated Amended Complaint pursuant to Federal Rule of Civil Procedure 15(a) on July 30, 2015 (Dkt. No. 37), thereby rendering Defendants' motion to dismiss moot;

WHEREAS, at the Case Management Conference on August 11, 2015, the Court requested that the parties enter a briefing schedule for the motion to dismiss filings;

WHEREAS, counsel for Plaintiffs and counsel for Defendants have accordingly agreed that, subject to any modification approved by the Court after review of the moving papers or opposition papers, Defendants' motion to dismiss the Consolidated Amended complaint will be filed not later than September 8, 2015, any opposition will be filed not later than October 7, 2015, any reply will be filed not later than October 21, 2015, and such motion will be set for hearing on November 19, 2015.1

NOW, THEREFORE, Plaintiffs and Defendants, through their respective counsel of record, hereby stipulate that:

(i) Defendants shall have through and including September 8, 2015 to file a motion to dismiss the Consolidated Amended Complaint;

(ii) Plaintiffs shall have through and including October 7, 2015 to file their opposition to the motion to dismiss;

(iii) Defendants shall have through and including October 21, 2015 to file any reply brief in support of any motion to dismiss; and

(iv) any motion to dismiss the Consolidated Amended Complaint will be noticed for hearing on November 19, 2015.

FootNotes


1. After conferring, the parties jointly propose a November 19 hearing date because defense counsel has a conflict on November 12.

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