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:- J‘ackM thherford (SBN 268669)
`_ jmr;@rf10£dlaw.com
`RUTHERFORD LAW
`2811 V2 2nd Avenue
`Los Angeles, CA 9001 8
`Telephone: (323) 641-0784
`Warren Burns sz’o hac vice pending)
`wburns@bumscharest.com
`BURNS CHAREST LLP
`900 Jackson Street, Suite 500
`Dallas, Texas 75202
`Telephone: (469) 904-4550
`Lydia Wright 09m hac vice pending)
`IWright@bLimscharest. com'
`BURNS CHARBST LLP
`365 Canal Street, Suite 1170
`New Orleans, LA 701 30
`Telephone: (504) 799—2845
`Debra E. Pole (SBN 97816)
`dpole@sidley.com
`Joshua E. Anderson (SBN 21 1320)
`janderson@sidley.com
`Alycia A. Degen (SBN 21 1350)
`adegen@sidley.com
`SIDLEY AUSTIN LLP
`555 West Fifth Street, Suite 4000
`Los Angeles, CA 90013
`Telephone: 213.896.6000
`Facsimile: 213.896.6600
`
`FELEE
`SAN MATEO COUNTY
`MAY 2 4 2019
`ByCIerkoiww Court
`
`DEPUTY CLERK
`
`19~ GlV—02056
`.SU
`Stipulation & Order
`| 1844098
`
`i
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`
`Attorneysfor Defendant Gilead Sciences, Inc.
`
`SUPERIOR COURT OF THE STATE OF CALIFORNIA
`FOR THE COUNTY 0F SAN MATEO
`
`RORY NORDEEN', et aL,
`
`Plaintiffs,
`
`VS.
`GILEAD SCIENCES, INC,
`Defendants.
`
`.STIPULATION AND[W]
`
`Case No. 19-CIV-02056
`Assigned to: Hon.
`ORDER T0 STAY PROCEEDINGS
`PENDING RESOLUTION OF PETITION
`FOR COORDINATION W
`Complaint Filed: April 10;;2019
`
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`PENDING RESOLUTION OF PETITION FOR COORDINATION
`
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`Plaintiffs and Defendant Gilead Sciences, Inc. (“Gilead”), by and through their counsel of
`record, hereby stipulate and agree as follows:
`WHEREAS, on April 10, 2019, Plaintiffs filed their Complaint in this action;
`WHEREAS, Gilead’s current deadline to answer or otherwise response to the Complaint is
`May 28, 201 9;
`WHEREAS, a Complex Case Status Conference is currently scheduled in this action for
`June 4, 2019;
`WHEREAS, a Case Management Conference is currently scheduled in this action for
`August 8, 2019;
`WHEREAS, on May 20, 2019, plaintiffs in another action based on allegations similar to
`Plaintiffs’ allegations in this action filed Petition for Coordination with the Judicial Counsel for the
`State of California (“JCCP Petition”), seeking to coordinate this action and other actions; and
`WHEREAS, in light of the pending JCCP Petition and in order to avoid unnecessary
`expenditure of time or resources by the‘parties or the Court, the parties have agreed to stay
`proceedings in this case pending resolution ofthe JCCP Petition.
`NOW, THEREFORE, IT IS HEREBY STIPULATED AS FOLLOWS:
`All proceedings in this case are stayed pending resolution ofthe JCCP Petition.
`Gilead’s deadline to answer or otherwise response to the Complaint is stayed pending?
`resolution of the JCCP Petition.
`3. The Complex Case Status Conference currently set for June 4, 201 9 is vacated.
`4. The Case Management Conference currently set for August 8, 2019 is vacated.
`5. Within fifteen (15) days ofthe resolution ofthe JCCP Petition, the parties shall file a
`joint statement describing the resolution and their positions as to its impact on this
`
`fl
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`
`1.
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`2.
`
`case.
`Dated: May 22, 2019
`
`RUTHERFORDELAW
`5/
`By:
`Jack Mmfitbmfwd
`Attorneyfor Plaintifiiv
`
`’
`
`-2-
`'“ “‘ STIPULATION AND [PROPOSED] ORDER T0 STAY PROCEEDINGS
`PENDING RESOLUTION 0F PETITION FOR COORDINATION
`
`

`

`V)
`
`K/
`
`Dated: May 22, 2019
`
`SIDLEY AUSTIN LLP
`
`'
`
`'
`
`D'e'r‘aE. Pole
`Joshua E. Anderson
`Alycia A. Degen
`
`Attorneysfor Defendant Gilead Sciences, Inc.
`
`***
`
`ORDER
`
`1T Is so ORDERED;
`
`fin. Jonathan E. Karesh
`
`i
`
`n STIPULATION AND [PROPOSED] ORDER T0 STAY PROCEEDINGS ‘
`PENDING RESOLUTION OF PETITION FOR COORDINATION
`
`'
`
`

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`
`STATE 0F CALIFORNIA
`_ COUNTY 0F Los ANGELES
`
`I am employed in the County of Los Angeles, State of California. I am over the age 0f
`18 years and not a party to the within action. My business address is 555 West Fifth Street,
`Suite 4000, Los Angeles, California 900 1 3.
`On May 22, 2019, I served the foregoing document(s) described as STIPULATION AND
`[PROPOSED] ORDER TO STAY PROCEEDINGS PENDING RESOLUTION OF
`PETITION FOR COORDINATION on a1] interested parties in this action as follows:
`
`Jack M. Rutherford
`RUTHERFORD LAW
`2811 1/2 2nd Avenue
`Los Angeles, CA 90018
`Telephone: (323) 641-0784
`Email: jmr@rfordlaw.com
`Attorneysfor Plaintiflfs
`
`Warren Burns
`BURNS CHAREST LLP
`900 Jackson Street, Suite 500
`Dallas, Texas 75202
`Telephone: (469) 904-4550
`Email: wbums@burnscharest.com
`Attorneysfor Plaintifis‘
`
`Lydia A. Wright
`BURNS CHAREST LLP
`365 Canal Street, Suite 1170
`New Orleans, LA 70130
`_ Telephone: (504) 799-2845
`Email: lwright@bumscharest.com
`Attorneysfor Plaintififs
`’ M
`(VIA U. S. MAIL) I served the foregoing document(s) by U. S. Mail, as follows. I placed
`‘ true copies of the document(s) 1n a sealed envelope addressed to-each interested party as shown
`above. I placed each such envelope with postage thereon fiil‘ly prepaid for collection and
`mailing at Sidley Austin LLP, Los Angeles California. I am readily familiar with S idley Austin
`LLP’s practice for collection and processing of couespondence for mailing with the United
`' States Postal Service. Under that practice, the correspondence would be deposited in the United
`States Postal Service on that same day 'm the ordinary course of business.
`
`a
`
`I declare under penalty of perjury that the foregoing is true and correct.
`Executed on May 22, 2019, at Los Angeles, California.
`
`lyrAnnette Vandenberg
`
`-
`
`'
`
`'
`
`6.
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`STIPULATION AND [PROPOSED] ORDER TO STAY PROCEEDINGS
`PENDING RESOLUTION OF PETITION FOR COORDINATION
`
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`

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