Jacques vs. Bank of America Corporation, et al.
Filing
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STIPULATION Continuing Dates For Amendment to Pleadings and Response to Third Amended Complaint; and ORDER THEREON, signed by Magistrate Judge Stanley A Boone on 5/1/2013. (Any motions or stipulations requesting leave to amend the pleadings must be filed by no later than 5/13/2013, Defendant's Response to Third Amended Complaint due by 5/20/2013.) (Gaumnitz, R)
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Douglas Tucker, CA Bar #172550
MOSS, TUCKER, CHIU, HEBESHA
& WARD PC
5260 North Palm Avenue, Suite 205
Fresno, CA 93704
Telephone: (559) 472-9922
Facsimile: (559) 472-9892
(SPACE BELOW FOR FILING STAMP ONLY)
Stephen R. Cornwell, CA Bar #40737
CORNWELL & SAMPLE, LLP
Attorneys at Law
7045 N. Fruit Avenue
Fresno, CA 93711-0761
Telephone: (559) 431-3142
Facsimile: (559) 436-1135
Attorneys for Plaintiff TROY JACQUES
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Patricia S. Riordan, CA Bar #187418
E-Mail: priordan@edwardswildman.com
EDWARDS WILDMAN PALMER, LLP
1901 Avenue of the Stars, Suite 1700
Los Angeles CA 90067
Telephone: (310) 860-8700
Facsimile: (310) 580-9680
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Attorneys for Defendant BANK OF AMERICA, N.A.
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA – FRESNO DIVISION
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CORNWELL & SAMPLE LLP
7045 N. Fruit Avenue
Fresno, CA 93711
TROY JACQUES,
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Plaintiff,
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v.
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BANK OF AMERICA CORPORATION, )
a Delaware corporation, aka BANK OF
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AMERICA N.A.; FIRST ADVANTAGE )
BACKGROUND SERVICES CORP., a )
Florida corporation; EARLY WARNING )
SERVICES, LLC, a limited liability
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company, and DOES 1 through 50,
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Defendants.
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)
Case No.: 1:12-cv-00821-LJO-SAB
STIPULATION CONTINUING DATES
FOR AMENDMENT TO PLEADINGS
AND RESPONSE TO THIRD
AMENDED COMPLAINT; AND
ORDER THEREON
IT IS HEREBY STIPULATED by and between counsel for all the parties
that the deadline for Amendments to Pleadings set forth in the Scheduled Order (Document
STIPULATION CONTINUING DATES FOR AMENDMENT TO PLEADINGS AND RESPONSE TO THIRD AMENDED
COMPLAINT; AND ORDER THEREON
-1-
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56) be rescheduled. The Scheduling Order states “Any motions or stipulations requesting
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leave to amend the pleadings must be filed by no later than May 1, 2013.” Counsel have
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agreed to extend the deadline to May 13, 2013. New counsel has recently associated in as
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counsel for Plaintiff. Plaintiff has recently filed a Third Amended Complaint. Defendant
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has been granted an extension to respond to the Third Amended Complaint. Plaintiff
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would like to bring in a new party. Therefore, the parties have stipulated as follows:
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Amendment to Pleading.
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Old Language/Date: Any motions or stipulations requesting leave to amend
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the pleadings must be filed by no later than May 1, 2013.
New Language/Date: Any motions or stipulations requesting leave to amend
the pleadings must be filed by no later than May 13, 2013.
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Defendant’s Response to Third Amended Complaint:
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Old Date:
May 6, 2013
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New Date:
May 20, 2013
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CORNWELL & SAMPLE, LLP
DATED: May 1, 2013.
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By:
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/s/
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Stephen R. Cornwell
Stephen R. Cornwell
Attorney for Plaintiff
TROY JACQUES
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DATED: May 1, 2013.
EDWARDS, WILDMAN & PALMER LLP
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By:
/s/
Patricia S. Riordan
Patricia S. Riordan
Attorney for Defendant
BANK OF AMERICA, N.A.
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CORNWELL & SAMPLE LLP
7045 N. Fruit Avenue
Fresno, CA 93711
STIPULATION CONTINUING DATES FOR AMENDMENT TO PLEADINGS AND RESPONSE TO THIRD AMENDED
COMPLAINT; AND ORDER THEREON
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ORDER
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IT IS SO ORDERED.
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Dated:
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May 1, 2013
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UNITED STATES MAGISTRATE JUDGE
DEAC_Signature-END:
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CORNWELL & SAMPLE LLP
7045 N. Fruit Avenue
Fresno, CA 93711
STIPULATION CONTINUING DATES FOR AMENDMENT TO PLEADINGS AND RESPONSE TO THIRD AMENDED
COMPLAINT; AND ORDER THEREON
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