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`KEURIG GREEN MOUNTAIN, INC.
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`Plaintiff,
`v.
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`IN THE UNITED STATES DISTRICT COURT
`FOR THE DISTRICT OF MASSACHUSETTS
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` CIVIL ACTION NO.: 1:16-CV-10142-DJC
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`TOUCH COFFEE & BEVERAGES, LLC,
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`Defendant.
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`JOINT MOTION TO EXTEND DATE FOR SCHEDULING CONFERENCE
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`Keurig Green Mountain, Inc. (“Keurig”) and Touch Coffee & Beverages, LLC
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`(collectively, the “Parties”), respectfully move that this Court extend the date for the initial
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`scheduling conference from June 20, 2016 to either June 28 or June 29, 2016, and state:
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`1.
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`On May 13, 2016, the Court issued a Notice of Scheduling Conference, setting an
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`initial scheduling conference in this case for June 20, 2016 at 2:15 PM. (D.I. 71.)
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`2.
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`This date for the scheduling conference conflicts with a pre-existing commitment
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`by counsel for Keurig, a commitment entered into prior to the May 13, 2016 Notice of
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`Scheduling Conference.
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`3.
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`The Parties have conferred, and determined that their counsel could all attend an
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`initial scheduling conference held on either June 28, 2016 or June 29, 2016.
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`4.
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`The Parties submit that there is good cause for a brief extension of the date of the
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`initial scheduling conference, so as to allow their counsel to participate fully in the conference.
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`The Parties have neither sought nor received any prior extension of this date.
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`4760364.1
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`1
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`Case 1:16-cv-10142-DJC Document 72 Filed 05/18/16 Page 2 of 2
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`Accordingly, the Parties respectfully request that the Court extend the date for the initial
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`scheduling conference to either June 28, 2016 or June 29, 2016.
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`LOCAL RULE 7.1 CERTIFICATE
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`Under D. Mass. L.R. 7.1(a)(2), undersigned counsel for the Parties certify that they have
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`conferred in good faith regarding the relief request in this motion, and are filing it as a joint
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`motion.
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`Date: May 17, 2016
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`/s/ Hunter D. Keeton
`Michael A. Albert, BBO # 558566
`malbert@wolfgreenfield.com
`Gerald B. Hrycyszyn, BBO # 675201
`ghrycyszyn@wolfgreenfield.com
`Hunter D. Keeton, BBO # 660609
`hkeeton@wolfgreenfield.com
`Justin C. Colannino, BBO # 679473
`jcolannino@wolfgreenfield.com
`Christopher W. Henry, BBO # 676033
`chenry@wolfgreenfield.com
`WOLF, GREENFIELD & SACKS, P.C.
`600 Atlantic Ave.
`Boston, MA 02210
`Tel: (617) 646-8000
`Fax: (617) 646-8646
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`Counsel for Keurig Green Mountain, Inc.
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`Respectfully submitted,
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`/s/ Brendan M. Shortell (by permission)
`Gary E. Lambert (BBO# 548303)
`Brendan M. Shortell (BBO# 675851)
`Lambert & Associates
`92 State Street, Suite 200
`Boston, MA 02109
`Telephone: 617.720.0091
`Facsimile: 617.7206307
`lambert@lambertpatentlaw.com
`shortell@lambertpatent.law.com
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`Counsel for Touch Coffee & Beverages, LLC
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`CERTIFICATE OF SERVICE
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`I certify that I am causing this document to be filed through the Court’s electronic filing
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`system, which serves counsel for other parties who are registered participants as identified on the
`Notice of Electronic Filing (NEF).
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`/s/ Hunter D. Keeton
`Hunter D. Keeton
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`2
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`4760364.1