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Displaying 144-158 of 1,233 results

No. 541 MOTION for Leave to File Over-length Motions and Briefs , filed by Plaintiffs Adrienne Benson, ...

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 541 (W.D.Wash. Apr. 28, 2023)
350 N LaSalle Street, 14th Floor, Chicago, IL 60654 Tel: 312.589.6370 • Fax: 312.589.6378 Plaintiffs Adrienne Benson and Mary Simonson, by and through their attorneys, and pursuant to Local Rule 7(f), move for leave to file Plaintiffs’ Motion for Final Approval of Class Action Settlement Agreement (the “Motion”) over-length.
Pursuant to Local Rule 7(e)(3), Plaintiffs are allotted 8,400 words for the Motion insofar as it pertains in part to certification of the Settlement Class.
WHEREFORE, Plaintiffs respectfully request that this Court grant Plaintiffs’ Unopposed Motion for Leave to File Over-Length Brief.
Respectfully submitted, ADRIENNE BENSON and MARY SIMONSON, individually and on behalf of all others similarly situated,
1200 Fifth Avenue, Suite 1700 Seattle, Washington 98101 Tel: 206.682.5600 Plaintiffs’ Attorneys and Class Counsel *Admitted pro hac vice
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No. 225 Amended Stipulated MOTION and [Proposed] Order re Briefing Schedule on Plaintiffs' Motion for ...

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 225 (W.D.Wash. Apr. 9, 2021)
(2:18-cv-00525-RSL) Davis Wright Tremaine LLP 920 Fifth Avenue, Suite 3300 Seattle, WA 98104 206.622.3150 main · 206.757.7700 fax On March 10, 2021, the Court noted that “if the parties agree that more time is necessary, they may file a stipulation to renote the motion for class certification.” Dkt. 206 at 3.
Deadline for joining additional parties Deadline for amending pleadings Reports from expert witnesses under FRCP 26(a)(2) due All motions related to discovery must be noted on the motion calendar no later than the Friday before discovery closes pursuant to LCR 7(d) or LCR 37(a)(2) Discovery completed by Settlement conference held no later than All dispositive motions must be filed and noted on the motion calendar no later than the fourth Friday thereafter (see LCR 7(d)(3)) November 1, 2021 April 5, 2021 May 5, 2021 May 5, 2021 (no change) November 1, 2021 April 19, 2021 May 19, 2021 May 19, 2021 July 6, 2021 July 18, 2021 July 20, 2021 August 2, 2021 August 3, 2021 August 17, 2021 1 2 3 4 5 6 7 8 9
For the reasons stated above, the Parties respectfully request that the Court grant this stipulated motion and enter the attached [Proposed] Order.
Defendants’ deadline to respond to plaintiffs’ class certification and preliminary injunction motion, Dkt. 164, is April 28, 2021.
Agreed pretrial order due Pretrial conference to be scheduled by the Court Trial briefs, proposed voir dire questions, proposed jury instructions, and trial exhibits due Length of Trial: 5-10 days November 1, 2021 April 19, 2021 May 19, 2021 May 19, 2021 July 20, 2021 August 2, 2021 August 17, 2021 October 4, 2021 October 20, 2021 October 27, 2021 Jury
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No. 219 Stipulated MOTION and [Proposed] Order Re Briefing Schedule on Plaintiffs Motion for Class ...

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 219 (W.D.Wash. Apr. 5, 2021)
(2:18-cv-00525-RSL) Davis Wright Tremaine LLP 920 Fifth Avenue, Suite 3300 Seattle, WA 98104 206.622.3150 main · 206.757.7700 fax On March 10, 2021, the Court noted that “if the parties agree that more time is necessary, they may file a stipulation to renote the motion for class certification.” Dkt. 206 at 3.
Consequently, the Parties have agreed—subject to Court approval—to the following stipulated briefing schedule on Plaintiffs’ motion for class certification and preliminary injunction, Dkt. 164: o Defendants’ opposition deadline: April 28, 2021 o Plaintiffs’ reply deadline and date for renote: May 10, 2021 In addition, because an extension of the briefing schedule, alone, would complicate the Parties’ efforts to complete fact discovery prior to the July 6 deadline, the Parties respectfully request that the Court extend all existing deadlines as set forth in its Order Setting Trial Date and Related Dates, Dkt. 208, by approximately two weeks: Current Date Proposed New Date
Defendants state that in addition to this stipulation, they reserve their rights to seek extension or relief from the existing schedule on other grounds.
For the reasons stated above, the Parties respectfully request that the Court grant this stipulated motion and enter the attached [Proposed] Order.
Defendants’ deadline to respond to plaintiffs’ class certification and preliminary injunction motion, Dkt. 164, is April 28, 2021.
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No. 186 ***STRICKEN PER 202 ORDER*** DECLARATION of Jamel Hollis filed by Plaintiffs Adrienne Benson, ...

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 186 (W.D.Wash. Feb. 25, 2021)
I started playing because I saw it advertised in the App store on my iPhone and I was looking for something to do to keep me busy.
off playing for free, but I quickly realized that it’s very hard to win without buying chips.
I have deleted the app from my phone multiple times and somehow, I always come back to it.
I declare under penalty of perjury that the above and foregoing is true and correct.
1700 Seventh Avenue, Suite 2200 Seattle, Washington 98101-4416 Tel: 206.682.5600 • Fax: 206.682.2992
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No. 480 STATUS REPORT and Response to Plaintiffs' Status Report [Dkt. 479] by Defendant Double Down ...

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 480 (W.D.Wash. Aug. 8, 2022)
Prior to the institution of the stay which ultimately expires today, the parties scheduled two mediation sessions with Phillips ADR:
The parties’ July 28th session with Ms. Mendoza lasted more than nine hours and there have been multiple follow-up discussions since that time.
Despite Plaintiffs’ contention to the contrary, Double Down has mediated in good faith and intends to continue to do so.
Despite Plaintiffs’ anticipated filing of their Motion for Temporary Restraining Order – an utterly meritless motion seeking to enjoin the corporate actions of a foreign third-party – Double Down still intends to approach the August 26th mediation in good faith to continue the parties’
920 Fifth Avenue, Suite 3300 Seattle, WA 98104-1610 206.622.3150 main · 206.757.7700 fax discussions and believes that the parties can reach a satisfactory resolution on or before the August 26th mediation.
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No. 358

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 358 (W.D.Wash. Jul. 12, 2021)

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No. 342

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 342 (W.D.Wash. Jul. 1, 2021)

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No. 324

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 324 (W.D.Wash. Jun. 11, 2021)

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No. 308

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 308 (W.D.Wash. Jun. 1, 2021)

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No. 218

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 218 (W.D.Wash. Apr. 1, 2021)

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No. 212

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 212 (W.D.Wash. Mar. 25, 2021)

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No. 211

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 211 (W.D.Wash. Mar. 25, 2021)

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No. 201

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 201 (W.D.Wash. Mar. 5, 2021)

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No. 175

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 175 (W.D.Wash. Feb. 25, 2021)

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No. 165

Document Benson v. Double Down Interactive, LLC et al, 2:18-cv-00525, No. 165 (W.D.Wash. Feb. 25, 2021)

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