`149
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`BYTEWEAVR, LLC,
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`Plaintiff,
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`IN THE UNITED STATES DISTRICT COURT
`FOR THE EASTERN DISTRICT OF TEXAS
`MARSHALL DIVISION
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`PLAINTIFF’S UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE
`PROPOSED DISCOVERY AND DOCKET CONTROL ORDERS
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`Byteweavr, LLC (“Byteweavr” or “Plaintiff”) respectfully submits this Unopposed Motion
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`v.
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`DATABRICKS, INC.,
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`Defendants.
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`CIVIL ACTION NO. 2-24-cv-00162-
`JRG-RSP
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`JURY TRIAL DEMANDED
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`to extend the deadline for filing a proposed Discovery Order and Docket Control Order. Byteweavr
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`has met and conferred with Defendant Databricks, Inc. (“Databricks”), who does not oppose the
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`requested extension.
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`The current deadline for the Parties to submit a proposed Discovery Order and Docket
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`Control Order is June 12, 2024 (Dkt. No. 11). Byteweavr respectfully requests a one-week
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`extension of the current deadline up to and including June 20, 2024, given that June 19, 2024 is a
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`federal holiday.
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`Good cause exists for extending the deadline. The Parties are coordinating efforts and
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`diligently working toward reaching resolution on outstanding disputes. In order to resolve any
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`outstanding disputes and minimize issues that need to be presented to the Court, Byteweavr
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`respectfully requests an additional week to submit to the Court the proposed Discovery Order and
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`Docket Control Order.
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`PLAINTIFF’S UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE PROPOSED DISCOVERY
`AND DOCKET CONTROL ORDERS – Page 1
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`Case 2:24-cv-00162-JRG-RSP Document 20 Filed 06/12/24 Page 2 of 4 PageID #:
`150
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`Accordingly, Byteweavr respectively requests that the Unopposed Motion be granted, and
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`that the deadline to file the proposed Discovery Order and Docket Control Order be extended from
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`June 12, 2024 up to and including June 20, 2024.
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`PLAINTIFF’S UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE PROPOSED DISCOVERY
`AND DOCKET CONTROL ORDERS – Page 2
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`Case 2:24-cv-00162-JRG-RSP Document 20 Filed 06/12/24 Page 3 of 4 PageID #:
`151
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`Dated: June 12, 2024
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`Respectfully submitted,
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`/s/ Jeffrey R. Bragalone
`Jeffrey R. Bragalone (lead attorney)
`Texas Bar No. 02855775
`E-mail: jbragalone@bosfirm.com
`Terry A. Saad
`Texas Bar No. 24066015
`E-mail: tsaad@bosfirm.com
`Marcus Benavides
`Texas Bar No. 24035574
`E-mail: mbenavides@bosfirm.com
`Brandon V. Zuniga
`Texas Bar no. 24088720
`E-mail: bzuniga@bosfirm.com
`Mark M.R. Douglass
`Texas Bar No. 24131184
`Email: mdouglass@bosfirm.com
`BRAGALONE OLEJKO SAAD PC
`901 Main Street
`Suite 3800
`Dallas, Texas 75202
`Telephone:
`(214) 785-6670
`Facsimile:
`(214) 785-6680
`
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`ATTORNEYS FOR PLAINTIFF
`BYTEWEAVR, LLC
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`PLAINTIFF’S UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE PROPOSED DISCOVERY
`AND DOCKET CONTROL ORDERS – Page 3
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`Case 2:24-cv-00162-JRG-RSP Document 20 Filed 06/12/24 Page 4 of 4 PageID #:
`152
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`CERTIFICATE OF SERVICE
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`I hereby certify that a copy of the foregoing document was filed electronically in
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`compliance with Local Rule CV-5(a). Therefore, this document was served on all counsel who are
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`deemed to have consented to electronic service on June 12, 2024.
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`/s/ Marcus Benavides
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`MARCUS BENAVIDES
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`CERTIFICATE OF CONFERENCE
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`Pursuant to Local Rule CV-7(h), I certify that counsel for Plaintiff, Byteweavr, conferred
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`with counsel for Defendants via email exchanges and confirmed that the Motion is unopposed.
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`/s/ Marcus Benavides
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`MARCUS BENAVIDES
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`PLAINTIFF’S UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE PROPOSED DISCOVERY
`AND DOCKET CONTROL ORDERS – Page 4
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