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\OOONGU‘I-hWNI—a
`
`NNNNNNNNNr—Ir—Ir—Ir—Ir—Ir—Ir—Ir—Ir—Ir—IWNQMAWNHCOOONQMJBWNHC
`
`Aaron S. Jacobs (Cal. Bar No. 214953)
`ajacobs@princelobel.com
`James J. Foster
`
`jfoster@princelobel.com
`PRINCE LOBEL TYE LLP
`
`One International Place, Suite 3700
`Boston, MA 02110
`Tel: (61 7) 456-8000
`
`Matthew D. Vella (Cal. State Bar No. 314548)
`mvella@princelobel.com
`PRINCE LOBEL TYE LLP
`
`357 S. Coast Highway, Suite 200
`Laguna Beach, CA 92651
`Tel: (949) 232-6375
`
`Attorneys for Plaintiff
`
`UNITED STATES DISTRICT COURT
`
`CENTRAL DISTRICT OF CALIFORNIA
`
`SANTA ANA DIVISION
`
`UNILOC 2017 LLC,
`
`Case No. 8:19-cv-01150-DOC-KES
`
`INFOR, INC ., Defendant.
`
`Plaintiff,
`
`v.
`
`ORDER GRANTING JOINT MOTION TO
`STAY ALL DEADLINES AND NOTICE
`
`OF PENDING SETTLEMENT [64]
`
`Plaintiff, Uniloc 2017 LLC, and Defendant, Infor, Inc., hereby file this Joint Motion to Stay
`
`All Deadlines and Notice of Pending Settlement, pending fmalization of settlement in this case.
`
`The palties have reached an agreement in principle to settle this case and are in the process
`
`of finalizing the settlement. All matters in controversy between the parties have been settled in
`
`principle. The paities wish to conclude the settlement without burdening the Court with any
`
`additional filings and without incurring unnecessary expenses and motions practice. The parties
`
`anticipate that they will be able to finalize the settlement and submit dismissal papers within
`
`approximately two weeks.
`
`Accordingly, the parties respectfully request that the Court grant a stay of these
`
`proceedings, including all deadlines, through and including Tuesday, November 24, 2020.
`ORDER GRANTING JOINT MOTION TO STAY ALL
`1
`Case No. 8:19-cv-01150—DOC—KES
`DEADLINES AND NOTICE OF PENDING SETTLEMENT“
`
`

`

`1
`
`The Parties submit that good cause exists for granting this joint motion, as set forth above.
`
`2 This motion is not filed for purposes of delay, but so that justice may be served.
`
`3
`
`\DOOQGUIA
`
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`IT IS SO ORDERED-
`
`Date: November 10, 2020
`
`Madam
`
`
`
`Hon. David 0. Carter
`
`US. District Judge
`
`ORDER GRANTING JOINT MOTION TO STAY ALL
`DEADLINES AND NOTICE OF PENDING SETTLEMENT
`
`Case No. 8:19-cv-01150—DOC-KES
`
`

`

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`2 8
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`Dated: November 9, 2020
`
`Respectfiilly submitted,
`
`/s/ Aaron S. Jacobs
`
`Aaron S. Jacobs (Cal. Bar No. 214953)
`ajacobs@princelobel.com
`James J. Foster
`
`jfoster@princelobel.com
`PRINCE LOBEL TYE LLP
`
`One International Place, Suite 3700
`Boston, MA 02110
`Tel: (617) 456—8000
`
`Matthew D. Vella (Cal. State Bar No. 314548)
`mvella@princelobel.com
`PRINCE LOBEL TYE LLP
`
`357 S. Coast Highway, Suite 200
`Laguna Beach, CA 92651
`Tel: (949) 232-63 75
`
`Attorneys for Plaintiff
`
`/s/ Paul E. Torchia
`JOSHUA A. KREVIIT, SBN 208552
`jkrevitt@gibsondunn.com
`PAUL E. TORCHIA
`ptorchia@gibsondunn.com
`FLORINA YEZRIL
`fyezril@gibsondunn.com
`GIBSON, DUNN & CRUTCHER LLP
`200 Park Avenue
`New York, NY 10166—0193
`Telephone: 212.351.4000
`Facsimile: 212.351.4035
`JENNIFER RHO, SBN 254312
`jrho@gibsondunn.com
`GIBSON, DUNN & CRUTCHER LLP
`333 South Grand Avenue
`Los Angeles, CA 90071-3 197
`Telephone: 213.229.7000
`Facsimile: 213.229.7520
`
`ANDREW ROBB, SBN 291438
`arobb@gibsondunn.com
`GIBSON, DUNN & CRUTCHER LLP
`1881 Page Mill Road
`Palo Alto, CA 94304-1211
`Telephone: 650.849.5300
`Facsimile: 650.849.5333
`Attorneys for Defendant Infor, Inc.
`
`ORDER GRANTING JOINT MOTION TO STAY ALL
`DEADLINES AND NOTICE OF PENDING SETTLEMENT
`
`3
`
`Case No. 8:19-cv—01150—DOC—KES
`
`

`

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`CERTIFICATE OF SERVICE
`
`I certify that on November 9, 2020, I served this document on Defendant by causing a copy
`to be sent via electronic mail to its counsel of record.
`
`/s/ Aaron S. Jacobs
`
`JOINT MOTION TO STAY ALL DEADLINES AND NOTICE
`OF PENDING SETTLEMENT
`
`4
`
`Case No. 8:19-cv-01150-DOC-KES
`
`

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