Federal Deposit Insurance Corporation v. Varrasso et al

Filing 48

STIPULATION and ORDER 47 signed by Judge William B. Shubb on 3/29/2012 for Plaintiff to withdraw its 41 Motion to Strike the Affirmative Defense of Defendants Premier Valley, Inc. and Karen Bhatti now set for hearing on 4/9/2012. This stipulation is not meant to affect the pending Motion filed to Strike the Affirmative Defense of Defendant Richard Varrasso also scheduled for 4/9/2012. (Kirksey Smith, K)

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1 2 3 4 5 6 7 8 SUSAN D. CONDON (State Bar No. 143417) scondon@gcalaw.com VALERIE M. WAGNER (State Bar No. 173146) vwagner@gcalaw.com GCA LAW PARTNERS LLP 1891 Landings Dr. Mountain View, CA 94043 Telephone: (650) 428-3900 Facsimile: (650) 428-3901 Attorneys for FEDERAL DEPOSIT INSURANCE CORPORATION as Receiver for INDYMAC BANK, F.S.B. 9 UNITED STATES DISTRICT COURT 10 EASTERN DISTRICT OF CALIFORNIA 11 SACRAMENTO 12 13 14 FEDERAL DEPOSIT INSURANCE CORPORATION as Receiver for INDYMAC BANK, F.S.B., Plaintiff, 15 16 17 18 19 20 21 vs. RICHARD K. VARRASSO dba Richard Varrasso and Associates and AppraisalTrust.com, an individual; PREMIER VALLEY, INC. dba CENTURY 21 M&M ASSOCIATES, a California corporation; and KAREN BHATTI, an individual, Case No. CIV. 2:11-2628 WBS CKD STIPULATION AND ORDER TO WITHDRAW MOTION TO STRIKE AFFIRMATIVE DEFENSE SERVED ON DEFENDANTS PREMIER VALLEY, INC. AND KAREN BHATTI Honorable William B. Shubb Defendants. 22 23 THIS IS A JOINT STIPULATION AND REQUEST BY PLAINTIFF 24 AND DEFENDANTS PREMIER VALLEY, INC. AND KAREN 25 BHATTI AND THEIR RESPECTIVE COUNSEL OF RECORD: 26 IT IS HEREBY STIPULATED AND AGREED by the undersigned 27 parties that the FDIC may and hereby does withdraw its Motion to Strike the 28 Affirmative Defense of Defendants Premier Valley, Inc. and Karen Bhatti. GCA Law Partners LLP 1891 Landings Drive Mountain View, CA 94043 (650)428-3900 Stipulation to Withdraw Motion to Strike Against Premier Valley and Karen Bhatti Case No. CIV. 2:11-2628 WBS CKD 1 1 Plaintiff withdraws the motion in light of the issues raised in Defendants’ 2 Opposition that the affirmative defense in question may be applicable to 3 more than one cause of action asserted against Defendants Premier Valley 4 and Bhatti. This stipulation is not meant to affect the pending Motion filed 5 to Strike the Affirmative Defense of Defendant Richard Varrasso also 6 scheduled for April 9, 2012. 7 IT IS SO STIPULATED. 8 9 DATED: March 28, 2012 10 By:___/s/ SusanCondon__________ SUSAN CONDON Attorney for Plaintiff FEDERAL DEPOSIT INSURANCE CORPORATION as RECEIVER for INDYMAC BANK, F.S.B. 11 12 13 14 15 GCA LAW PARTNERS LLP DATED: March 28, 2012 TRIEBSCH & FRAMPTON 16 By:___/s/ Cory B. Chartrand_____ CORY B. CHARTRAND Attorneys for Defendants, PREMIER VALLEY, INC., DBA CENTURY 21 M&M AND ASSOCIATES, and KAREN BHATTI (as Authorized on March 28, 2012) 17 18 19 20 21 22 23 PURSUANT TO STIPULATION, IT IS SO ORDERED. 24 DATED: March 29, 2012 25 26 27 28 GCA Law Partners LLP 1891 Landings Drive Mountain View, CA 94043 (650)428-3900 Stipulation to Withdraw Motion to Strike Against Premier Valley and Karen Bhatti Case No. CIV. 2:11-2628 WBS CKD 2

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