Osei v. GMAC Mortgage et al

Filing 32

STIPULATION and ORDER signed by Judge John A. Mendez on 12/17/09: Defendant GMACM shall have up to and including December 23, 2009 to respond to Plaintiff's First Amended Complaint.(Kaminski, H)

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1 2 3 4 5 6 7 8 9 10 11 WOLFE & WYMAN LLP Attorneys & Counselors At Law Stuart B. Wolfe (SBN 156471) sbwolfe@wolfewyman.com Joshua M. Bryan (SBN 246122) jmbryan@wolfewyman.com WOLFE & WYMAN LLP 2175 N. California Blvd., Suite 415 Walnut Creek, California 94596-3579 Telephone: (925) 280-0004 Facsimile: (925) 280-0005 Attorneys for Defendant GMAC MORTGAGE, LLC (erroneously sued as "GMAC Mortgage") UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA PATRICK OSEI, Plaintiff, v. GMAC MORTGAGE, COUNTRYWIDE HOME LOANS; GREENPOINT MORTGAGE FUNDING, INC.; ANGIUS & TERRY COLLECTIONS, LLC.; MORTGAGE ELECTRONIC REGISTRATION SYSTEMS, INC.; PELLETIER FINANCE, INC. DBA DELTA MORTGAGE AND REAL ESTATE; JEFFREY ALAN PELLETIER, JEFFREY PAUL OLSEN; JEFFREY BRYAN DELORA and DOES 1-20 inclusive, Defendants. Case No.: 2:09-cv-02534-JAM-GGH STIPULATION RE EXTENSION OF TIME FOR DEFENDANT GMAC MORTGAGE LLC TO RESPOND TO PLAINTIFF'S FIRST AMENDED COMPLAINT 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 TO ALL PARTIES HEREIN AND TO THEIR RESPECTIVE ATTORNEYS OF RECORD: This Stipulation is made by and between Plaintiff PATRICK OSEI ("Plaintiff") and Defendant GMAC MORTGAGE, LLC ("GMACM") by and through their respective counsel of record. Plaintiff and GMACM agree and stipulate as follows: A. On or about December 9, 2009, GMACM requested of Plaintiff an extension of time to respond to the First Amended Complaint up to and including December 23, 2009. B. On or about December 9, 2009, Plaintiff's counsel agreed to extend GMACM's time to respond to the First Amended Complaint up to and including December 23, 2009. 1 STIPULATION RE EXTENSION OF TIME TO RESPOND TO FIRST AMENDED COMPLAINT C:\Documents and Settings\HVine\Desktop\09cv2534.o.1217.doc PDF created with pdfFactory trial version www.pdffactory.com 1 2 3 4 5 6 7 8 9 10 11 WOLFE & WYMAN LLP Attorneys & Counselors At Law C. This Stipulation does not alter the date of any event or any deadline already fixed by the Court. WHEREFORE, Plaintiff and GMACM agree and stipulate that GMACM has up to and including December 23, 2009 to respond to Plaintiff's First Amended Complaint. DATED: December 15, 2009 WOLFE & WYMAN LLP By: STUART B. WOLFE JOSHUA M. BRYAN ATTORNEYS FOR DEFENDANT GMAC MORTGAGE, LLC 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 DATED: December 15, 2009 LAW OFFICES OF JAMES MILLER By: RANDOLPH COOKE Attorney for Plaintiff PATRICK OSEI ORDER ON STIPULATION The Court having reviewed the stipulation of Plaintiff and GMACM, and good cause appearing therefore, ORDERS that GMACM shall have up to and including December 23, 2009 to respond to Plaintiff's First Amended Complaint in this matter. IT IS SO ORDERED. DATED: 12/17/2009 /s/ John A. Mendez_______________ JUDGE OF THE DISTRICT COURT 2 STIPULATION RE EXTENSION OF TIME TO RESPOND TO FIRST AMENDED COMPLAINT PDF created with pdfFactory trial version www.pdffactory.com C:\Documents and Settings\HVine\Desktop\09cv2534.o.1217.doc

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