Rivkin v. JPMorgan Chase Bank, N.A., et al.

Filing 37

STIPULATION and ORDER signed by District Judge Troy L. Nunley on 5/14/15 ORDERING that JPMC shall have to and including 7/27/2015 to respond to Plaintiff's First Amended Complaint.(Mena-Sanchez, L)

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1 2 3 4 5 6 7 8 9 10 MORGAN, LEWIS & BOCKIUS LLP Amy M. Spicer (SBN 188399) One Market, Spear Street Tower San Francisco, CA 94105-1126 Tel: 415.442.1000 Fax: 415.963.1001 E-mail: aspicer@morganlewis.com MORGAN, LEWIS & BOCKIUS LLP Joseph Duffy (SBN 241854) 300 South Grand Avenue Twenty-Second Floor Los Angeles, CA 90071-3132 Tel: 213.612.2500 Fax: 213.612.2501 Email: jduffy@morganlewis.com Attorneys for Defendant JPMORGAN CHASE BANK, N.A. 11 12 UNITED STATES DISTRICT COURT 13 14 FOR THE EASTERN DISTRICT OF CALIFORNIA – SACRAMENTO DIVISION 15 16 VLADIMIR RIVKIN, Case No. 14-cv-2662-TLN-EFB 17 vs. 19 20 21 22 23 STIPULATION TO EXTEND TIME FOR DEFENDANT JPMORGAN CHASE BANK, N.A. TO RESPOND TO PLAINTIFF’S FIRST AMENDED COMPLAINT AND ORDER Plaintiff, 18 JPMORGAN CHASE BANK, N.A., a New York association; FAY SERVICING LLC, a Delaware limited liability company; ALBERTELLI LAW PARTNERS CALIFORNIA, PA, a California corporation,, and DOES 1 through 10, 24 Defendants. 25 26 27 28 MORGAN, LEWIS & BOCKIUS LLP ATTORNEYS AT LAW 1 LOS ANGELES DB2/ 25915432.1 STIPULATION TO EXTEND TIME TO RESPOND TO FAC CASE NO. 14-2662-TLN-EFB 1 Plaintiff Vladimir Rivkin (“Plaintiff”) and Defendant JPMorgan Chase Bank, 2 N.A. (“JPMC” and with Plaintiff, the “Parties”), hereby enter into this Stipulation 3 to Extend Time for Defendant to Respond to Plaintiff’s First Amended Complaint 4 with reference to the following facts: 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 RECITALS A. On or about October 16, 2014, Plaintiff commenced an action in the Superior Court for the County of Nevada entitled Rivkin v. JPMorgan Chase Bank, N.A., et al., Case Number TCU14-5931 (the “State Court Action”). B. On or around October 23, 2014, Plaintiff served the Summons and First Amended Complaint on JPMC. C. On November 14, 2014, JPMC timely removed the State Court Action to this Court. D. On November 25, 2014, the Parties entered into a stipulation to extend the time for JPMC to respond to the First Amended Complaint to allow the Plaintiff and co-defendant Fay Servicing LLC to engage in discussions regarding the then pending Trustee’s Sale and in view of the possibility of Plaintiff filing a second amended complaint. E. On January 8, 2015, Plaintiff filed a request for leave to file a second amended complaint. (Docket No. 21.) F. On January 21, 2015, the Parties entered into a further stipulation to extend the time for JPMC to respond to the First Amended Complaint in view of 22 Plaintiff’s pending request for leave to file a second amended complaint. (Docket 23 No. 25.) The Court entered an order approving the Parties’ stipulation on January 24 25 26 27 22, 2015. (Docket No. 26.) G. On February 18, 2015 and March 25, 2015, the Parties entered into further stipulations to extend the time for JPMC to respond to the First Amended Complaint in view of Plaintiff’s pending request for leave to file a second amended 28 MORGAN, LEWIS & BOCKIUS LLP 2 ATTORNEYS AT LAW LOS ANGELES DB2/ 25915432.1 STIPULATION TO EXTEND TIME TO RESPOND TO FAC CASE NO. 14-2662-TLN-EFB 1 complaint and their ongoing settlement discussions. (Docket Nos. 27 & 31.) The 2 Court entered orders approving the Parties’ stipulations on February 19, 2015 and 3 March 30, 2015. (Docket Nos. 28 & 32.) JPMC’s current deadline to respond to 4 5 6 7 the First Amended Complaint is May 18, 2015. H. As of May 12, 2015, the Court has not yet ruled on Plaintiff’s request for leave to file the second amended complaint. I. The Parties are engaged in discussions regarding options for resolving 8 the case without further litigation. In view of Plaintiff’s pending request for leave 9 to amend the operative complaint and the Parties’ on-going discussions, the Parties 10 11 12 13 14 15 have agreed to extend the time for JPMC to respond to Plaintiff’s First Amended Complaint to and including July 27, 2015. J. This is the Parties’ fifth request for an extension of time to respond to the First Amended Complaint. IT IS THEREFOR STIPULATED that JPMC shall have to and including July 27, 2015 to respond to Plaintiff’s First Amended Complaint. 16 17 Dated: May 13, 2015 FRANZ LAW 18 By: 19 20 Attorneys for Plaintiff VLADIMIR RIVKIN 21 22 /s/ Pamela M. Schuur (as authorized on May 13, 2015) Pamela M. Schuur Dated: May 12, 2015 MORGAN, LEWIS & BOCKIUS LLP 23 By: /s/ Amy M. Spicer Amy M. Spicer 24 25 Attorneys for Defendant JPMORGAN CHASE BANK, N.A. 26 27 28 MORGAN, LEWIS & BOCKIUS LLP 3 ATTORNEYS AT LAW LOS ANGELES DB2/ 25915432.1 STIPULATION TO EXTEND TIME TO RESPOND TO FAC CASE NO. 14-2662-TLN-EFB 1 2 3 4 ORDER 5 6 IT IS SO ORDERED. 7 8 Dated: May 14, 2015 9 10 Troy L. Nunley United States District Judge 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 MORGAN, LEWIS & BOCKIUS LLP 4 ATTORNEYS AT LAW LOS ANGELES DB2/ 25915432.1 STIPULATION TO EXTEND TIME TO RESPOND TO FAC CASE NO. 14-2662-TLN-EFB

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