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Fulltime Fantasty Sports LLC v. Steven

United States District Court, W.D. Washington

October 23, 2017

FULLTIME FANTASY SPORTS, LLC a Delaware limited liability company, Plaintiff,
v.
STEVEN and JANE DOE RTNDNER, and their marital community; MARK and JANE DOE STIEGLITZ, and their marital community; DOUG and JANE DOE SMITH, and their marital community; CRAIG and JANE DOE MALLITZ, and their marital community; ROSS and JANE DOE LEVINSOHN, and their marital community; ROSS and JANE DOE LUKATSEVITCH, and their marital community; JOE and JANE DOE ROBINSON, and their marital community; TAMMER and JANE DOE FAHMY, and their marital community; MAYO and JANE DOE STUNTZ, and their marital community; JAMES and JANE DOE HECKMAN, and their marital community, PAUL and JANE DOE MCNICHOL, and their marital community thereof; ANDREW and JANE DOE RUSSELL, and their marital community thereof; HOWARD and JANE DOE LIPSON, and their marital community thereof, PILOT GROUP, GP, LLC, a Delaware corporation; and JANE and JOHN DOES 1 through 8, Defendants.

          COOLEY LLP Christopher B. Durbin (No. 41159) Jeffrey D. Lombard (No. 50260) Attorneys for Defendants Tammer and Jane Doe Fahmy, Howard and Jane Doe Lipson, Ross and Jane Doe Lukatsevich, Craig and Jane Doe Mallitz, Paul and Jane Doe McNichol, Joe and Jane Doe Robinson, Andrew and Jane Doe Russell, and Mayo and Jane Doe Stuntz

          DLA PIPER LLP (US) Jeffrey DeGroot (No. 46839) Stellman Keehnel (No. 9309) Andrew R. Escobar (No. 42793) Attorneys for Defendants Doug SMITH and JANE Doe Smith and Mark Stieglitz and Jane Doe Stieglitz

          DAVIS WRIGHT TREMAINE LLP Brad Fisher (No. 19895) Attorneys for Defendants James Heckman and Jane Doe Heckman

          RYAN, SWANSON & CLEVELAND, PLLC Gulliver A. Swenson (No. 35974) Attorneys for Plaintiff Fulltime Fantasy Sports, LLC

          Christopher B. Durbin (No. 41159) Jeffrey D, Lombard (No. 50260) COOLEY LLP

          Gulliver A. Swenson RYAN, SWANSON & CLEVELAND, PLLC Attorneys for Plaintiff Fulltime Fantasy Sports, LLC

          Brad Fisher DAVIS WRIGHT TREMAINE LLP Attorneys for Defendants JAMES HECKMAN and Jane Doe Heckman

          Stellman Keehnel Andrew R. Escobar Jeffrey DeGroot DLA PIPER LLP (US) Attorneys for Defendants DOUG SMITH and Jane Doe Smith and Mark Stieglitz and Jane Doe Stieglitz

          STIPULATION AND -[PROPOSED] ORDER RE (1) PLAINTIFF'S MOTION FOR LEAVE TO AMEND COMPLAINT; (2) WITHDRAWAL OF DEFENDANTS' MOTION TO DISMISS PLAINTIFF'S FIRST AMENDED COMPLAINT; AND (3) DEFENDANTS' DEADLINE TO FILE RESPONSIVE PLEADING TO SECOND AMENDED COMPLAINT

          THE HONORABLE JAMES L. ROBART JUDGE

         Pursuant to LCR 10(g), Plaintiff Fulltime Fantasy Sports, LLC and all Defendants[1] hereby stipulate to and respectfully request an order reflecting the following:

         1. Defendants do not oppose Plaintiffs Motion for Leave to Amend Complaint (Dkt. No. 26) and consent to Plaintiff filing its Second Amended Complaint as the superseding and operative complaint in this matter, 2. Defendants withdraw their currently pending Motion to Dismiss Plaintiffs First Amended Complaint (Dkt. Nos. 18, 20, 21).

         3. Defendants shall file their responsive pleadings to the Second Amended Complaint by no later than December 12, 2017.

         4. If one or more Defendants file a Rule 12 motion as their responsive pleading, then

         (a) Plaintiff shall File its response(s) to such motion(s) by no ...


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