Reopen Motion

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Case 9:16-cv-81992-KAM Document 52 Entered on FLSD Docket 06/04/2018 Page 1 of 3

UNITED STATES DISTRICT COURT


SOUTHERN DISTRICT OF FLORIDA

Civil Action No. 9:16-cv-81992-MARRA

BRANDON LEIDEL, individually,


and on behalf of All Others Similarly Situated,

Plaintiffs,
v.

COINBASE, INC., a Delaware corporation


d/b/a Global Digital Asset Exchange (GDAX);

Defendant.
________________________________________________/

PLAINTIFF’S UNOPPOSED MOTION TO RE-OPEN CASE

Plaintiff Brandon Leidel, individually, and on behalf of All Others Similarly Situated

(“Plaintiff” and “the Class”) hereby files this Motion to Re-Open Case and states as follows:

1. On July 18, 2017, this Court entered an order (D.E. 46) staying this case pending

the resolution of Defendant’s interlocutory appeal of this Court’s June 1, 2017 Opinion and

Order denying Defendant’s Corrected Motion to Compel Arbitration.

2. On April 23, 2018, the Eleventh Circuit Court of Appeals affirmed this Court’s

June 1, 2017 Opinion and Order denying Defendant’s Corrected Motion to Compel Arbitration,

and the appellate court issued its mandate and judgment on May 22, 2018.

3. As a result, and pursuant to this Court’s July 17, 2017 Order, Plaintiffs seek to re-

open this case.

4. Prior to filing this Motion, the undersigned counsel conferred with Defendant’s

counsel, and has been authorized to represent that Defendant does not oppose the relief the relief

sought herein.

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Case 9:16-cv-81992-KAM Document 52 Entered on FLSD Docket 06/04/2018 Page 2 of 3

5. Plaintiff also wishes to advise the Court that the parties held via telephone on June

1, 2018 a Case Management Conference, and intend to submit to the Court a Second Case

Conference Report and proposed scheduling order on or before Friday, June 8, 2018.

WHEREFORE, Plaintiff Brandon Leidel, individually, and on behalf of All Others

Similarly Situated, respectfully requests that this Court re-open this case.

Respectfully submitted,

BY: /S/ MARC A. WITES


Fla. Bar No.: 24783
[email protected]
WITES LAW FIRM
Attorneys for Plaintiff and the Class
4400 North Federal Highway
Lighthouse Point, FL 33064
954-933-4400/954-354-0205 (fax)

and

SILVER MILLER
11780 W. Sample Road
Coral Springs, Florida 33065
Telephone: (954) 755-4799
Facsimile: (954) 755-4684
DAVID C. SILVER
E-mail: [email protected]
Florida Bar No. 572764
JASON S. MILLER
E-mail: [email protected]
Florida Bar No. 095631

Counsel for Plaintiff and the Class

CERTIFICATE OF SERVICE

WE HEREBY CERTIFY that a copy of the foregoing was electronically filed with the

Clerk of Court on this 4th day of June, 2018 by using the CM/ECF system which will send a

notice of electronic filing to the following CM/ECF participant(s): ANDREW KEMP-

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Case 9:16-cv-81992-KAM Document 52 Entered on FLSD Docket 06/04/2018 Page 3 of 3

GERSTEL, ESQ. and JAMES R. LIEBLER, II, ESQ., LIEBLER, GONZALEZ & PORTUONDO,

Counsel for Defendant, Coinbase Inc., Courthouse Tower - 25th Floor, 44 West Flagler Street,

Miami, FL 33130; and STEVEN A. ELLIS, ESQ., LAURA STOLL, ESQ. and GALEN

PHILLIPS, ESQ., GOODWIN PROCTER LLP, Pro Hac Vice Counsel for Defendant, Coinbase

Inc., 601 South Figueroa Street, Los Angeles, CA 90017.

/s/ Marc. A. Wites


MARC A. WITES

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