Case 3:07-cv-02129-BTM-AJB
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Filed 11/28/2007
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MAYER BROWN LLP JOHN NADOLENCO (SBN 181128) [email protected] BRONWYN F. POLLOCK (SBN 210912) [email protected] 350 South Grand Avenue, 25th Floor Los Angeles, CA 90071-1503 Telephone: (213) 229-9500 Facsimile: (213) 625-0248 Attorneys for Defendant COURTYARD HOLDINGS, LP UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF CALIFORNIA
OUTERBRIDGE ACCESS ASSOCIATION, SUING ON BEHALF OF DIANE CROSS; and DIANE CROSS, An Individual, Plaintiffs, v. MARIE CALLENDER'S PIE SHOPS, INC. d.b.a. MARIE CALLENDER'S #254; PACIFIC BAGELS, LLC d.b.a. BRUEGGARS BAGELS; COURTYARD HOLDINGS, LP; PSS PARTNERS, LLC; AND DOES 1 THROUGH 10, Inclusive, Defendants.
CASE NO. 07 CV 2129 BTM (AJB) JOINT MOTION FOR EXTENSION OF TIME FOR DEFENDANT COURTYARD HOLDINGS, LP TO FILE A RESPONSIVE PLEADING TO PLAINTIFFS' COMPLAINT [CivLR 7.2, 12.1] Honorable Barry T. Moskowitz
JOINT MOTION FOR EXTENSION OF TIME FOR DEFENDANT COURTYARD HOLDINGS, LP TO FILE A RESPONSIVE PLEADING TO PLAINTIFFS' COMPLAINT; CASE NO. 07 CV 2129 BTM (AJB)
Case 3:07-cv-02129-BTM-AJB
Document 3
Filed 11/28/2007
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Plaintiffs, Outerbridge Access Association, Suing on Behalf of Diane Cross, and Diane Cross (jointly, "Plaintiffs"), and Defendant Courtyard Holdings, LP ("Defendant"), through their counsel of record, jointly move the Court and stipulate as follows: Whereas, Plaintiffs' Complaint initiating this action was filed on November 7, 2007; Whereas, Defendant's registered agent for service of process, Corporation Service Company, received the Complaint on November 7, 2007 and thereafter provided the Complaint to Defendant's separate parent entity, Clarion Partners, LLC, in Washington, DC; Whereas, the portfolio administrator in Washington, DC who received the Complaint on behalf of Clarion Partners, LLC recently experienced health problems and was unable to act in response to the Complaint until a few days ago; Whereas, Plaintiffs and Defendant have not agreed to any previous extensions of time to respond to the Complaint; and Whereas, pursuant to Rules 7.2 and 12.1 of the Local Civil Rules of Practice for the United States District Court for the Southern District of California, Plaintiffs and Defendant have stipulated that Defendant Courtyard Holdings, LP shall have a two-week extension, to and including December 12, 2007, to file its responsive pleading to the Complaint. IT IS HEREBY STIPULATED that Defendant Courtyard Holdings, LP shall have to and including December 12, 2007 to file its responsive pleading to the Complaint. Accordingly, Plaintiffs and Defendant hereby move the Court to enter the Order Granting Joint Motion for Extension of Time for Defendant Courtyard Holdings, LP to File a Responsive Pleading to Plaintiffs' Complaint concurrently lodged with the Court. /// /// /// /// /// /// -1JOINT MOTION FOR EXTENSION OF TIME FOR DEFENDANT COURTYARD HOLDINGS, LP TO FILE A RESPONSIVE PLEADING TO PLAINTIFFS' COMPLAINT; CASE NO. 07 CV 2129 BTM (AJB)
28737380
Case 3:07-cv-02129-BTM-AJB
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Filed 11/28/2007
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1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Dated: Dated:
IT IS SO STIPULATED. November 28, 2007 PINNOCK & WAKEFIELD, A.P.C. THEODORE A. PINNOCK DAVID C. WAKEFIELD MICHELLE L. WAKEFIELD
By: s/ Michelle L. Wakefield Attorneys for Plaintiffs OUTERBRIDGE ACCESS ASSOCIATION, SUING ON BEHALF OF DIANE CROSS, AND DIANE CROSS E-mail: [email protected] November 28, 2007 MAYER BROWN LLP JOHN NADOLENCO BRONWYN F. POLLOCK
By: s/ Bronwyn F. Pollock Bronwyn F. Pollock Attorneys for Defendant COURTYARD HOLDINGS, LP E-mail: [email protected]
-2JOINT MOTION FOR EXTENSION OF TIME FOR DEFENDANT COURTYARD HOLDINGS, LP TO FILE A RESPONSIVE PLEADING TO PLAINTIFFS' COMPLAINT; CASE NO. 07 CV 2129 BTM (AJB)
28737380
Case 3:07-cv-02129-BTM-AJB
Document 3
Filed 11/28/2007
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Case 3:07-cv-02129-BTM-AJB
Document 3
Filed 11/28/2007
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