Hodge et al v. NationStar Mortgage Holdings, Inc. et al
Filing
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SECOND STIPULATION and ORDER FOR EXTENSION OF TIME, signed by Magistrate Judge Michael J. Seng on 11/29/2016. (Lafata, M)
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TROUTMAN SANDERS LLP
Chad R. Fuller, Bar No. 190830
chad.fuller@troutmansanders.com
Justin M. Brandt, Bar No. 278368
justin.brandt@troutmansanders.com
11682 El Camino Real, Suite 400
San Diego, CA 92130-2092
Telephone: 858-509-6000
Facsimile: 858-509-6040
Attorneys for Defendant
NATIONSTAR MORTGAGE
HOLDINGS, INC.
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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JIMMIE HODGE and
GLORIA HODGE, individually and
on behalf of a class of similarly
situated individuals,
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Plaintiffs,
Case No. 1:16-cv-01516-DAD-MJS
SECOND STIPULATION AND
ORDER FOR EXTENSION OF
TIME
v.
NATIONSTAR MORTGAGE
HOLDINGS, INC. and
BANK OF AMERICA, N.A.,
Defendants.
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Plaintiffs Jimmie Hodge and Gloria Hodge and Defendant Nationstar
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Mortgage Holdings, Inc. (“Nationstar”), by and through their respective counsel,
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hereby agree and stipulate as follows:
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WHEREAS, Plaintiffs served their Complaint on Nationstar in this action on
October 11, 2016;
WHEREAS, on November 1, 2016, the Nationstar filed a stipulation for
extension of time of 28 days to respond to the Complaint;
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T ROU TMA N S ANDE RS LLP
11682 EL CAMINO REAL
SUITE 400
SAN DIEGO, CA 92130-2092
STIPULATION FOR EXTENSION OF TIME
CASE NO:16-CV-01516-DAD-MJS
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WHEREAS, the current deadline for Nationstar to respond to the Complaint
is November 29, 2016;
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WHEREAS, Nationstar is requesting additional time to file its response to
the Complaint so the parties can meet to discuss a potential resolution of the case;
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WHEREAS, Plaintiffs have agreed to an extension until January 3, 2017.
This is the same deadline Plaintiffs have granted to co-Defendant Bank of America,
N.A.
IT IS HEREBY STIPULATED, by and between Plaintiffs and Nationstar,
through their undersigned attorneys, that Nationstar’s time to respond to the
Complaint is extended up through and including January 3, 2017.
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TROUTMAN SANDERS LLP
Dated: November 28, 2016
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By:/s/ Justin M. Brandt
Chad R. Fuller
Justin M. Brandt
Attorneys for Defendant
NATIONSTAR MORTGAGE
HOLDINGS, INC.
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HICKS THOMAS LLP
Dated: November 28, 2016
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By:/s/ Eric Grant
(as authorized on this date)
John B. Thomas (Bar No. 269538)
Eric Grant (Bar No. 151064)
Attorneys for Plaintiffs
JIMMIE HODGE and
GLORIA HODGE
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T ROU TMA N S ANDE RS LLP
11682 EL CAMINO REAL
SUITE 400
SAN DIEGO, CA 92130-2092
-2-
STIPULATION FOR EXTENSION OF TIME
CASE NO: 16-CV-01516-DAD-MJS
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ORDER
Pursuant to the parties’ stipulation, IT IS HEREBY ORDERED that
Defendant Nationstar Mortgage Holdings, Inc. in case number 1:16-cv-01516DAD-MJS shall have an extension of time to respond to Plaintiffs’ complaint up
through and including January 3, 2017.
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IT IS SO ORDERED.
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Dated:
November 29, 2016
/s/
Michael J. Seng
UNITED STATES MAGISTRATE JUDGE
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T ROU TMA N S ANDE RS LLP
11682 EL CAMINO REAL
SUITE 400
SAN DIEGO, CA 92130-2092
-3-
STIPULATION FOR EXTENSION OF TIME
CASE NO: 16-CV-01516-DAD-MJS
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CERTIFICATE OF CM/ECF SERVICE
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The undersigned hereby certifies that a true and correct copy of the above
and foregoing document has been served on November 28, 2016, to all counsel of
record who are deemed to have consented to electronic service via the Court’s
CM/ECF system per Federal Rule of Civil Procedure 5 and Civil Local Rule 135.
Any counsel of record who have not consented to electronic service through the
Court’s CM/ECF system will be served by electronic mail, first class mail,
facsimile and/or overnight delivery. Pursuant to the Electronic Case Filing
Administrative Policies and Procedures Manual, I hereby certify that the content of
this document is acceptable to Eric Grant, counsel for Plaintiff, and that I have
obtained his authorization to affix his electronic signature to this document.
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/s/ Justin M. Brandt
Justin M. Brandt
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T ROU TMA N S ANDE RS LLP
11682 EL CAMINO REAL
-4-
SUITE 400
SAN DIEGO, CA 92130-2092
29772489
STIPULATION FOR EXTENSION OF TIME
CASE NO: 16-CV-01516-DAD-MJS
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