Way v. JPMorgan Chase Bank, N.A. et al
Filing
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STIPULATION and ORDER signed by District Judge Troy L. Nunley on 11/7/2016 GRANTING plaintiffs an extension of time to file a First Amended Complaint until 11/23/2016.(Donati, J)
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Jack Ter-Saakyan, Esq. (SBN 266641)
Kenley Dygert, Esq. (SBN 287573)
JT LEGAL GROUP, APC
801 N. Brand Blvd., Ste. 1130
Glendale, CA 91203
Direct: 818-745-1594
E-Fax: 747-444-2369
Attorneys for Plaintiffs,
KATIE WAY
JOHN WAY
EDDY WAY
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UNITED STATES DISTRICT COURT
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EASTERN DISTRICT OF CALIFORNIA
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KATIE WAY, an individual; JOHN WAY,
an individual; EDDY WAY, an individual;
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Plaintiffs,
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JOINT STIPULATION TO EXTEND
TIME TO FILE FIRST AMENDED
COMPLAINT; ORDER
v.
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Case No.2:16-cv-02244-TLN
JP MORGAN CHASE BANK, N.A.;
CALIBER HOME LOANS, INC.; U.S.
BANK, N.A., AS TRUSTEE FOR LSF9
MASTER PARTICIPATION TRUST; MTC
FINANCIAL INC. dba TRUSTEE CORPS;
and DOES 1 through 20, inclusive
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Defendants.
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Please take notice that the parties, Katie Way, John Way, and Eddy Way (“Plaintiffs”),
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JP Morgan Chase Bank, N.A. (“Chase”), Caliber Home Loans, Inc. (“Caliber”), U.S. Bank,
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N.A., as Trustee for LSF9 Master Participation Trust (“US Bank”), and MTC Financial Inc.
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dba Trustee Corps (“Trustee Corps;” Chase, Caliber, US Bank, and Trustee Corps are
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“Defendants” – Plaintiffs and Defendants are collectively known as the “Parties”), by and
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through their respective counsels of record, stipulate to the following:
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WHEREAS Plaintiffs filed this action on August 16, 2016.
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WHEREAS Chase removed this action on September 21, 2016.
WHEREAS Trustee Corps filed a Motion to Dismiss on October 18, 2016.
JOINT STIPULATION AND ORDER TO EXTEND TIME TO FILE FIRST AMENDED COMPLAINT
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WHEREAS Chase filed a Motion to Dismiss on October 28, 2016.
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WHEREAS Caliber and US Bank filed a Motion to Dismiss on November 2, 2016.
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WHEREAS Plaintiffs will file a First Amended Complaint in response to Defendants’
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Motions to Dismiss
WHEREAS, due to the fact that Defendants’ Motions to Dismiss were filed on different
days, and in an effort to reconcile all Motions to Dismiss within Plaintiffs’ First Amended
Complaint, Plaintiffs believe additional time to file a First Amended Complaint is necessary.
WHEREAS Defendants do not dispute this necessity, which will cause no prejudice to
any party.
NOW THEREFORE, Plaintiffs and Defendants, HEREBY STIPULATE AND AGREE
AS FOLLOWS:
The Deadline for Plaintiffs to file a First Amended Complaint, shall be extended to
November 23, 2016.
IT IS SO STIPULATED
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DATED: November 4, 2016
JT LEGAL GROUP
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By: /s/ Kenley Dygert
Kenley Dygert, Bar No. 287573
Kenley@jtlegalgroup.com
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Attorneys for Plaintiffs,
Katie Way, John Way, Eddy Way
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JOINT STIPULATION AND ORDER TO EXTEND TIME TO FILE FIRST AMENDED COMPLAINT
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DATED: November 4, 2016
PERKINS COIE LLP
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By:/s/ Daniel O’Shea
Daniel O’Shea
doshea@perkinscoie.com
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Attorneys for Defendants,
Caliber Home Loans, Inc. and U.S. Bank
Trust, N.A. as Trustee for LSF9 Master
Participation Trust
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DATED: November 4, 2016
PARKER IBRAHIM & BERG LLC
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By: /s/ William J. Idleman
William J. Idleman
William.idleman@piblaw.com
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Attorneys for Defendant,
JP Morgan Chase Bank, N.A.
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DATED: November 4, 2016
BURKE, WILLIAMS & SORENSEN, LLP
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By: /s/ Scott Nenni
Scott Nenni
snenni@bwslaw.com
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Attorneys for Defendant,
MTC Financial Inc. dba Trustee Corps
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JOINT STIPULATION AND ORDER TO EXTEND TIME TO FILE FIRST AMENDED COMPLAINT
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ORDER
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Having considered the Stipulation regarding the agreement to extend the time for
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Plaintiffs to file the First Amended Complaint, the Court hereby grants this stipulation which
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extends Plaintiffs’ deadline to file a First Amended Complaint to November 23, 2016.
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IT IS SO ORDERED.
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Dated: November 7, 2016
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Troy L. Nunley
United States District Judge
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JOINT STIPULATION AND ORDER TO EXTEND TIME TO FILE FIRST AMENDED COMPLAINT
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