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  • DONNA TREVETHAN VS. BIG ORANGE PRODUCTIONS, INC. ET AL OTHER NON EXEMPT COMPLAINTS document preview
  • DONNA TREVETHAN VS. BIG ORANGE PRODUCTIONS, INC. ET AL OTHER NON EXEMPT COMPLAINTS document preview
  • DONNA TREVETHAN VS. BIG ORANGE PRODUCTIONS, INC. ET AL OTHER NON EXEMPT COMPLAINTS document preview
  • DONNA TREVETHAN VS. BIG ORANGE PRODUCTIONS, INC. ET AL OTHER NON EXEMPT COMPLAINTS document preview
  • DONNA TREVETHAN VS. BIG ORANGE PRODUCTIONS, INC. ET AL OTHER NON EXEMPT COMPLAINTS document preview
  • DONNA TREVETHAN VS. BIG ORANGE PRODUCTIONS, INC. ET AL OTHER NON EXEMPT COMPLAINTS document preview
						
                                

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MEDINA McKELVEY LLP Brandon R. McKelvey (SBN 217002) Email: brandon@medinamckelvey.com Timothy B. Nelson (SBN 235279) Email: tim@medinamckelvey.com Allison S. Hyatt (SBN 217567) Email: allison@medinamckelvey.com 983 Reserve Drive Roseville, California 95678 Telephone: (916) 960-2211 Facsimile: (916) 742-5488 Counsel for Defendants BIG ORANGE PRODUCTIONS, INC. and TARGET CORPORATION SETAREH LAW GROUP Shaun Setareh (SBN 204514) Email: shaun@setarehlaw.com Thomas Segal (SBN 222791) Email: thomas@setarehlaw.com 315 South Beverly Drive, Suite 315 Beverly Hills, California 90212 Telephone: (310) 888-7771 Facsimile: (310) 888-0109 Attorneys for Plaintiff DONNA TREVETHAN rena We pd onsets “Deputy Clerk SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF SAN FRANCISCO DONNA TREVETHAN, on behalf of herself, all others similarly situated, Plaintiff, v. BIG ORANGE PRODUCTIONS, INC., a Rhode Island corporation; TARGET CORPORATION, a Minnesota corporation; and DOES | through 50, inclusive, Defendants. CASE NO.: CGC-19-579858 ORDER GRANTING THIRD JOINT STIPULATION TO CONTINUE RESPONSIVE PLEADING DEADLINES 4° 9-/0-20 Action Filed: Trial: Not Yet Set -1- [PROPOSED] ORDER GRANTING SECOND JOINT STIPULATION TO CONTINUE RESPONSIVE PLEADING DEADLINES October 8, 2019kw N ORDER Having read and considered the Parties’ Third Joint Stipulation to Continue Responsive Pleading Deadlines, and finding good cause, the Court approves the Joint Stipulation and orders that both Defendant Big Orange Productions, Inc.’s and Defendant Target Corporation’s responsive pleading deadline shall be continued to 3@:deys-eftermediation-iseompletedner: September 10, 2020,.whichever occurs first: IT IS SO ORDERED. ZZ e Date: 2 } MAR 0 6 2020 JUDGE OF THE SUPERIOR COURT — GARRETT L. WONG Os [PROPOSED] ORDER GRANTING SECOND JOINT STIPULATION TO CONTINUE RESPONSIVE PLEADING DEADLINESPROOF OF SERVICE 1am a resident of the State of California, over the age of eighteen years, and not a party to the within action. My business address is Medina McKelvey LLP, 983 Reserve Drive, Roseville, California 95678. On February 11, 2020, I served the following documents: [PROPOSED] ORDER GRANTING THIRD JOINT STIPULATION TO CONTINUE RESPONSIVE PLEADING DEADLINES (BY EMAIL) I caused an email to be sent to the email address listed below. {BY OVERNIGHT DELIVERY) I placed each such sealed envelope, with delivery fees provided for, for collection and overnight delivery at Medina McKelvey LLP, Roseville, California, following ordinary business practices. I am readily familiar with the practice of Medina McKelvey LLP’s collection and processing of correspondence for overnight delivery, said practice being that in the ordinary course of business, correspondence is deposited in the facility regularly maintained by the express services carrier the same day as it is placed for collection. xX (BY U.S. MAIL) I placed the document listed above in a sealed envelope with postage thereon fully prepaid, in the United States mail at Roseville, California addressed as set forth below. I am readily familiar with the firm’s practice of collection and processing correspondence for mailing. Under that practice it would be deposited with the U.S. Postal Service on that same day with postage thereon fully prepaid in the ordinary course of business. I am aware that on motion of the party served, service is presumed invalid if postal cancellation date or postage meter date is more than one day after date of deposit for mailing in affidavit. (BY PERSONAL SERVICE) I caused the document(s) listed above to be personally delivered to the party(ies) at the address(es) listed below via Nationwide Attorney Service. Shaun Setareh, Esq. Thomas Segal, Esq. Farrah Grant, Esq. Setareh Law Group 315 South Beverly Drive, Suite 315 Beverly Hills, California 90212 Telephone: 310.888.7771 Facsimile: 310.888.0109 Attorneys for Plaintiff Donna Trevethan I declare under the penalty of perjury under the laws of the State of California that the above is true and correct. Executed on February 11, 2020, at Roseville, California. md iro = Bt [PROPOSED] ORDER GRANTING SECOND JOINT STIPULATION TO CONTINUE RESPONSIVE PLEADING DEADLINES