Sampo v Twitter Stay Pending Settlement

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Sampo v Twitter Stay Pending Settlement

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    MISHCON DE REYA NEW YORK LLP Robert A. Whitman Email: [email protected] 750 7th Avenue, 26th Floor New York, New York 10019 Telephone: 212.612.3270 Facsimile: 212.612.32977 Attorneys for Plaintiff SAMPO IP LLC

    UNITED STATES DISTRICT COURT

    NORTHERN DISTRICT OF CALIFORNIA

    SAN FRANCISCO DIVISION

    SAMPO IP LLC,

    Plaintiff,

    vs. TWITTER, INC., Defendant.

    Case No. 3:15-CV-01495 (VC) Honorable Vince Chhabria JOINT MOTION TO STAY ALL DEADLINES AND NOTICE OF ANTICIPATED RESOLUTION

    Plaintiff Sampo IP, LLC (Sampo) and Defendant Twitter, Inc. (Twitter)

    hereby submit this Joint Motion to Stay All Deadlines and Notice of Anticipated

    Resolution in the present case. At this time, both parties believe that they have

    been able to resolve all matters in controversy, and the parties are in the process of

    finalizing the appropriate dismissal papers. Accordingly, Sampo and Twitter

    submit that judicial resources would best be served by a temporary stay of all

    unreached deadlines contained in the Courts Scheduling Order for thirty (30)

    days, so that appropriate dismissal papers may be submitted.

    Case3:15-cv-01495-VC Document44 Filed08/03/15 Page1 of 2

  • JOINT MOTION TO STAY ALL DEADLINES AND NOTICE OF ANTICIPATED RESOLUTION

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    For the foregoing reasons, Sampo and Twitter request that the Court grant

    this joint motion and enter a temporary stay of all unreached proceedings in the

    case between Sampo and Twitter for thirty (30) days, until September 2, 2015. A

    proposed order granting this motion is filed concurrently herewith for the Courts

    convenience.

    Dated: August 3, 2015

    MISHCON DE REYA NEW YORK LLP

    By: /s/ Robert A. Whitman Robert A. Whitman Attorney for Plaintiff SAMPO IP LLC PAUL HASTINGS LLP By: /s/ Yar R. Chaikovsky

    Yar R. Chaikovsky Counsel for Defendant Twitter, Inc.

    CERTIFICATE OF SERVICE

    I hereby certify that on August 3, 2015 the foregoing document was filed

    electronically via the Courts Electronic Case Filing System (ECF). Notice of the

    filing is being served upon all counsel of record automatically through Notice of

    Electronic Filing. /s/ Robert A. Whitman Robert A. Whitman

    Case3:15-cv-01495-VC Document44 Filed08/03/15 Page2 of 2