Gooden v. Suntrust Mortgage, Inc., et al.,

Filing 125

STIPULATION and ORDER signed by Judge John A. Mendez on 7/25/14 ORDERING Pursuant to the stipulation and request of the parties, and for good cause shown, the Court hereby extends the stay in this case until August 29, 2014. By August 22, 2014, the parties are to submit a statement informing the Court that the parties have successfully completed settlement, requesting a further stay, or propose a schedule to proceed with litigation. (Becknal, R)

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6 NIALL P. McCARTHY (SBN 160175) nmccarthy@cpmlegal.com JUSTIN T. BERGER (SBN 250346) jberger@cpmlegal.com ERIC J. BUESCHER (SBN 271323) ebuescher@cpmlegal.com COTCHETT, PITRE & McCARTHY, LLP 840 Malcolm Road Burlingame, CA 94010 Telephone: (650) 697-6000 Facsimile: (650) 692-3606 7 Attorneys for Plaintiffs and the Class 1 2 3 4 5 8 9 10 IN THE UNITED STATES DISTRICT COURT 11 FOR THE EASTERN DISTRICT OF CALIFORNIA 12 13 SHEILA GOODEN, an individual; and MICHELLE HALL, an individual, Case No. 2:11-cv-02595-JAM-DAD 14 Plaintiffs, 15 STIPULATION AND REQUEST AND ORDER IN LIGHT OF SETTLEMENT v. 16 17 18 SUNTRUST MORTGAGE, INC., a Virginia corporation, Defendant. 19 20 21 22 23 24 25 26 27 28 STIPULATION AND REQUEST; [PROPOSED] ORDER Case No. 2:11-cv-02595-JAM-DAD 1 STIPULATION AND REQUEST 2 Plaintiffs SHEILA GOODEN and MICHELLE HALL (“Plaintiffs”), and Defendant 3 SUNTRUST MORTGAGE, INC., (“SunTrust”) have previously notified the Court that the 4 parties have reached a settlement in principle. 5 On July 2, 2014, the Court entered a stay of this case, asking that the parties, by July 25, 6 2014, submit a statement informing the Court that the parties have successfully completed 7 settlement, requesting a further stay, or proposed a schedule to proceed with litigation. See Dkt. 8 No. 123. 9 The parties hereby notify the Court that they are still in the final stages of negotiating the 10 settlement and that the only issues remaining are several relating to a deed in lieu of foreclosure 11 for plaintiff Michelle Hall which are being addressed. The parties therefore respectfully stipulate 12 to and respectfully request that the Court enter a 30 day additional stay so that these issues can be 13 addressed. 14 IT IS SO STIPULATED. 15 Respectfully Submitted, 16 Dated: July 25, 2014 COTCHETT, PITRE & McCARTHY, LLP 17 By: /s/ Justin T. Berger NIALL P. McCARTHY JUSTIN T. BERGER ERIC J. BUESCHER 18 19 20 Attorneys for Plaintiffs 21 22 Dated: July 25, 2014 23 By: /s/ Philip Barilovits PHILIP BARILOVITS 24 25 26 SEVERSON & WERSON Attorneys for Defendant I, Philip Barilovits, am the ECF user whose identification and password are being used to file this Stipulation and Request. I hereby attest that Justin T. Berger has concurred in this filing. 27 /s/ Philip Barilovits 28 STIPULATION AND REQUEST; [PROPOSED] ORDER Case No. 2:11-cv-02595-JAM-DAD 1 1 ORDER 2 Pursuant to the stipulation and request of the parties, and for good cause shown, the Court 3 hereby extends the stay in this case until August 29, 2014. By August 22, 2014, the parties are to 4 submit a statement informing the Court that the parties have successfully completed settlement, 5 requesting a further stay, or propose a schedule to proceed with litigation. 6 7 IT IS SO ORDERED. 8 9 10 Dated: 7/25/2014 /s/ John A. Mendez__________________ THE HONORABLE JOHN A. MENDEZ 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 STIPULATION AND REQUEST; [PROPOSED] ORDER Case No. 2:11-cv-02595-JAM-DAD 2

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