Amal Gustafson v. US Bank, et al

Filing 45

ORDER DISMISSING CASE re: Stipulation for Dismissal of Entire Action with Prejudice by Judge Philip S. Gutierrez, 1. Plaintiff, SunTrust and U.S. Bank stipulate to immediately dismiss, with prejudice, the above-captioned action in its entirety as to all parties. 2. Defendant MTC FINANCIAL INC. DBA TRUSTEE CORPS ("Trustee Corps") was previously dismissed from this action on April 15, 2014. 3. Plaintiff, SunTrust and U.S. Bank stipulate that all parties are to bear their own attorneys� 39; fees and costs of suit herein. 4. Plaintiff, SunTrust and U.S. Bank further stipulate that they have entered into a settlement of the above-entitled action, which conditions dismissal of this action on the satisfactory completion of specified te rms that are to be performed by September 12, 2014. Accordingly, the parties respectfully request that this Court retain jurisdiction until September 12, 2014, to enforce the settlement between the parties. 5. Pursuant to Local Rule 5-4.3.4(a)(2)(i) , the ECF filer of this Stipulation, John Calvagna, attests that all other signatories listed below, and on whose behalf the filing is submitted, concur in the filing's content and have authorized the filing. IT IS SO ORDERED. re Stipulation to Dismiss Case 42 Case Terminated. Made JS-6. (lw)

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1 4 LAW OFFICE OF MICHAEL POOLE Michael Poole (SBN 124090) 15303 Ventura Blvd., Suite 900 Sherman Oaks, CA 91403 Telephone: (818) 892-5000 Facsimile: (818) 812-7826 Email: mpoole25@gmail.com 5 Attorneys for Plaintiff AMAL GHANNAM GUSTAFSON 6 McGLINCHEY STAFFORD John Calvagna (SBN 182609) Sanford P. Shatz (SBN 127229) Hassan Elrakabawy (SBN 248146) 8001 Irvine Center Drive, Suite 400 Irvine, California 92618 Telephone: (949) 381-5900 Facsimile: (949) 271-4040 Email: jcalvagna@mcglinchey.com sshatz@mcglinchey.com helrakabawy@mcglinchey.com 2 3 7 8 9 10 11 12 13 E-FILED 8/27/14 JS-6 Attorneys for Defendants SUNTRUST MORTGAGE, INC. and U.S. BANK N.A. AS TRUSTEE FOR BAFC 2007-4 14 UNITED STATES DISTRICT COURT 15 CENTRAL DISTRICT OF CALIFORNIA 16 17 AMAL GHANNAM GUSTAFSON, an individual, Plaintiff, 18 19 20 21 22 23 v. Case No.: 14-CV-1772-PSG (SHx) Hon. Philip S. Gutierrez STIPULATION FOR DISMISSAL OF ENTIRE ACTION WITH PREJUDICE ; ORDER US BANK AS TRUSTEE FOR BAFC 2007-4; SUNTRUST MORTGAGE, INC., a Virginia Corporation; MTC FINANCIAL INC DBA TRUSTEE CORPS, a California Corporation and DOES 1 through 20 State Court Case: LC101322 Inclusive, Action Filed: February 14, 2014 Trial Date: None Set Defendants. 24 25 26 Plaintiff AMAL GHANNAM GUSTAFSON (“Plaintiff”), by and through his 27 counsel of record, Michael Poole, and Defendants SUNTRUST MORTGAGE, INC. 28 (“SunTrust”) and U.S. BANK N.A. AS TRUSTEE FOR BAFC 2007-4 (“U.S. 1 29 30 STIPULATION FOR DISMISSAL OF ENTIRE ACTION – CASE NO. 14-CV-1772-PSG (SHx) 491276.1 1 Bank”), by and through their counsel of record, John Calvagna of McGlinchey 2 Stafford, stipulate and agree as follows: 3 4 1. prejudice, the above-captioned action in its entirety as to all parties. 5 6 2. Defendant MTC FINANCIAL INC. DBA TRUSTEE CORPS (“Trustee Corps”) was previously dismissed from this action on April 15, 2014. 7 8 Plaintiff, SunTrust and U.S. Bank stipulate to immediately dismiss, with 3. Plaintiff, SunTrust and U.S. Bank stipulate that all parties are to bear their own attorneys’ fees and costs of suit herein. 9 4. Plaintiff, SunTrust and U.S. Bank further stipulate that they have entered 10 into a settlement of the above-entitled action, which conditions dismissal of this action 11 on the satisfactory completion of specified terms that are to be performed by 12 September 12, 2014. Accordingly, the parties respectfully request that this Court 13 retain jurisdiction until September 12, 2014, to enforce the settlement between the 14 parties. 15 16 17 18 19 20 21 22 23 24 25 26 27 /// 28 /// 2 29 30 STIPULATION FOR DISMISSAL OF ENTIRE ACTION – CASE NO. 14-CV-1772-PSG (SHx) 491276.1 1 5. Pursuant to Local Rule 5-4.3.4(a)(2)(i), the ECF filer of this Stipulation, 2 John Calvagna, attests that all other signatories listed below, and on whose behalf the 3 filing is submitted, concur in the filing’s content and have authorized the filing. 4 5 IT IS SO STIPULATED. 6 7 DATED: August 25, 2014 LAW OFFICE OF MICHAEL POOLE 8 9 By: /s/ Michael Poole MICHAEL POOLE Attorneys for Plaintiff AMAL GHANNAM GUSTAFSON 10 11 12 13 DATED: August 25, 2014 McGLINCHEY STAFFORD 14 15 By: /s/ John Calvagna JOHN CALVAGNA SANFORD P. SHATZ HASSAN ELRAKABAWY Attorneys for Defendants SUNTRUST MORTGAGE, INC. and U.S. BANK N.A. AS TRUSTEE FOR BAFC 2007-4 16 17 18 19 20 IT IS SO ORDERED. 21 8/26/14 DATED: _______________ 22 23 _______________________ U.S. DISTRICT JUDGE 24 25 26 27 28 3 29 30 STIPULATION FOR DISMISSAL OF ENTIRE ACTION – CASE NO. 14-CV-1772-PSG (SHx) 491276.1

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