Case 3:18-cv-01477-JR Document 66 Filed 03/18/19 Page 1 of 2 Laura Salerno Owens, OSB #076230 LauraSalerno@MarkowitzHerbold.com David B. Markowitz, OSB #742046 DavidMarkowitz@MarkowitzHerbold.com Harry B. Wilson, OSB #077214 HarryWilson@MarkowitzHerbold.com Anna M. Joyce, OSB #013112 AnnaJoyce@MarkowitzHerbold.com Brittany M. Simpson, OSB #165326 BrittanySimpson@MarkowitzHerbold.com MARKOWITZ HERBOLD PC 1211 SW Fifth Avenue, Suite 3000 Portland, OR 97204-3730 Telephone: (503) 295-3085 Fax: (503) 323-9105 Laura L. Ho (admitted pro hac vice) lho@gbdhlegal.com Barry Goldstein, Of Counsel (pro hac vice application forthcoming) bgoldstein@gbdhlegal.com James Kan (admitted pro hac vice) jkan@gbdhlegal.com Byron Goldstein (admitted pro hac vice) brgoldstein@gbdhlegal.com Katharine L. Fisher (admitted pro hac vice) kfisher@gbdhlegal.com GOLDSTEIN, BORGEN, DARDARIAN & HO 300 Lakeside Drive, Suite 1000 Oakland, CA 94612 Telephone: (510) 763-9800 Fax: (510) 835-1417 Attorneys for Plaintiffs and Opt-In Plaintiffs IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF OREGON PORTLAND DIVISION KELLY CAHILL, SARA JOHNSTON, LINDSAY ELIZABETH, AND HEATHER HENDER, individually and on behalf of others similarly situated, Plaintiffs, Case No. 3:18-cv-01477-JR CONSENT TO BECOME PARTY PLAINTIFF IN COLLECTIVE ACTION UNDER 29 U.S.C. § 216(b) v. NIKE, INC., an Oregon Corporation, Defendant. Page 1 - CONSENT TO BECOME PARTY PLAINTIFF IN COLLECTIVE ACTION UNDER 29 U.S.C. § 216(b) Doc ID: 0588fd9b62cfd31e4190438bb61686f26e0eb952 Case 3:18-cv-01477-JR 1. Document 66 Filed 03/18/19 Page 2 of 2 I, Cindy Lea Linebaugh, consent to be a paiiy plaintiff in the above-listed action under 29 U.S.C. § 216(b), and agree to be bound by any settlement or judgment of the Comi in the action. 2. I have worked for Defendant Nike, Inc. in and around Beave1ion, Oregon from June 2011 to the present. 3. From 2008 to 2011, I worked as a contractor for Nike through its vendor RTC, 4. In June 2011 , I accepted a full-time position with Nike as a Product Manager. 5. In August 2017, during the annual review process I received a 2.5% pay raise. In Inc. October 2018, two months after this lawsuit was filed, I suddenly received a 9% pay raise. This seemed unusual to me because it was off-cycle, my duties did not change, and I did not take on additional responsibilities to receive the pay raise. After I received the pay raise, I mentioned it to a manager and her response implied that at least one male counte1paii on my team, who perfo1med substantially similar work, had been paid more than me for "awhile now." 6. I authorize Plaintiffs' counsel to file this consent with the Clerk of the Comi. 7. Upon consideration of my rights with respect to my legal representation, I hereby authorize the named Plaintiffs' counsel (Goldstein, Borgen, Dai·darian & Ho; Acke1mann & Tilajef PC; India Lin Bodien Law; and Markowitz Herbold PC) to make decisions with respect to the conduct and handling of this action, including the settlement thereof, as they deem appropriate or necessary. Please type or print in ink the following: Name: Cindy Lea Linebaugh Address: Email: Tel: Date: 03/18/2019 Signature Page 2 - CONSENT TO BECOME PARTY PLAINTIFF IN COLLECTIVE ACTION UNDER 29 U.S.C. § 216(b) Doc ID: 0588fd9b62cfd31 e4190438bb61686f26e0eb952