`
`IN THE UNITED STATES DISTRICT COURT
`FOR THE NORTHERN DISTRICT OF WEST VIRGINIA
`
`NOVO NORDISK INC. and NOVO
`NORDISKA/S,
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`Plaintiffs,
`
`V.
`
`VIATRIS INC. and
`MYLAN PHARMACEUTICALS INC.,
`
`Defendant.
`
`C.A. No. l:23-cv-13
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`JOINT MOTION FOR EXTENSION
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`Plaintiffs, Novo Nordisk Inc. and Novo Nordisk A/S, and Defendants, Viatris Inc. and
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`Mylan Pharmaceuticals Inc., by their imdersigned counsel, hereby move the Court for extension
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`of the deadlines for the Initial Planning Meeting which under the Court's First Order and Notice
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`Regarding Discovery and Scheduling dated April 3, 2023 (Dkt. No. 27) is currently due by May
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`3, 2023, and the day by which the parties must submit their Joint Report of Initial Planning
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`Meeting, which is currently due May 17,2023.
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`The parties respectfully and jointly request that the Court extend the deadline for the Initial
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`Planning Meeting through and until May 17,2023, and the deadline to submit the Joint Report of
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`Initial Planning Meeting through and until May 31,2023. The parties represent that the additional
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`time will permit counsel to further confer with their clients and with each other, allowing for a
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`Joint Report with as few areas of disagreement as possible.
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`
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`Case 1:23-cv-00013-TSK Document 29 Filed 05/03/23 Page 2 of 2 PageID #: 407
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`Dated: May 3,2023
`Respectfully submitted,
`
`ScHRADER Companion Duff & Law,
`PLLC
`
`PERKINS COIELLP
`
`/s/James F. Companion
`James F. Companion (#790)
`Sandra K. Law (#6071)
`401 Main Street
`Wheeling, WV 26003
`(304) 233-3390
`i fc@schraderlaw.com
`skl@.schraderlaw.com
`
`/s/Brandon M. White
`Brandon M. White (WV Bar No. 14021)
`BMWhite@perkinscoie.com
`PERKINS COIE LLP
`700 13th Street, NW, Suite 800
`Washington, DC 20005
`(202) 654-6200
`bmwhite@perkincoie.com
`
`Attorneys for Plaintiffs, Novo Nordisk Inc
`and Novo Nordisk A/S
`
`Attorney for Defendants, Viatris Inc. and Mylan
`Pharmaceuticals Inc.
`
`