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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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.
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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SACRAMENTO
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FEDERAL DEPOSIT INSURANCE
CORPORATION as Receiver for
INDYMAC BANK, F.S.B.,
Plaintiff,
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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.
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THIS IS A JOINT STIPULATION AND REQUEST BY PLAINTIFF
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AND DEFENDANTS PREMIER VALLEY, INC. AND KAREN
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BHATTI AND THEIR RESPECTIVE COUNSEL OF RECORD:
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IT IS HEREBY STIPULATED AND AGREED by the undersigned
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parties that the FDIC may and hereby does withdraw its Motion to Strike the
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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
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Plaintiff withdraws the motion in light of the issues raised in Defendants’
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Opposition that the affirmative defense in question may be applicable to
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more than one cause of action asserted against Defendants Premier Valley
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and Bhatti. This stipulation is not meant to affect the pending Motion filed
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to Strike the Affirmative Defense of Defendant Richard Varrasso also
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scheduled for April 9, 2012.
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IT IS SO STIPULATED.
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DATED: March 28, 2012
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By:___/s/ SusanCondon__________
SUSAN CONDON
Attorney for Plaintiff FEDERAL
DEPOSIT INSURANCE
CORPORATION as RECEIVER for
INDYMAC BANK, F.S.B.
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GCA LAW PARTNERS LLP
DATED: March 28, 2012
TRIEBSCH & FRAMPTON
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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)
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PURSUANT TO STIPULATION, IT IS SO ORDERED.
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DATED: March 29, 2012
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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
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