Wylie v. Equifax, Inc. et al

Filing 11

STIPULATION and ORDER signed by District Judge John A. Mendez on 2/9/2018 ORDERING defendant Bank of America, N.A.'s time to file a responsive pleading is EXTENDED to 3/2/2018. (Zignago, K.)

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1 MCGUIREWOODS LLP Anthony Q. Le (SBN# 300660) 2 ale@mcguirewoods.com Two Embarcadero Center 3 Suite 1300 4 San Francisco, CA 94111 Telephone: 415.844.9944 5 Facsimile: 415.844.9922 6 Attorneys for Defendant Bank of America, N.A. 7 8 SAGARIA LAW, P.C. Scott J. Sagaria (SBN# 217981) 9 Elliot W. Gale (SBN# 263326) Joe B. Angelo (SBN# 268542) 10 Scott M. Johnson (SBN# 287182) th 11 2033 Gateway Place, 5 Floor San Jose, CA 95110 12 Telephone: 408.279.2288 Facsimile: 408.279.2299 13 Attorneys for Plaintiff 14 Laura Wylie 15 16 UNITED STATES DISTRICT COURT 17 EASTERN DISTRICT OF CALIFORNIA – SACRAMENTO DIVISION 18 Case No. 2:17-cv-02333-JAM-KJN 19 Laura Wylie, Plaintiff, 20 21 v. 22 Equifax, Inc.; Bank of America, N.A.; and DOES 1 through 100 inclusive, 23 Defendants. 24 25 JOINT STIPULATION TO EXTEND TIME TO RESPOND TO INITIAL COMPLAINT PURSUANT TO L.R. 144(a); ORDER Complaint Filed: November 7, 2017 Honorable John A. Mendez Current Response Deadline: 2/9/2018 New Response Deadline: 3/2/2018 26 27 28 1 CASE NO. 2:17-cv-02333-JAM-KJN SECOND JOINT STIPULATION TO EXTEND TIME TO RESPOND TO INITIAL COMPLAINT; [PROPOSED] ORDER 1 This Stipulation is made by and between Plaintiff Laura Wiley (“Plaintiff”) and Defendant 2 Bank of America, N.A. (“BANA”) through their respective counsel and in light of the following 3 facts: 4 RECITALS 5 WHEREAS; on November 7, 2017, Plaintiff filed this action against BANA, and a 6 summons was issued by the Court; 7 WHEREAS; BANA was served a copy of the Complaint and Summons on December 29, 8 2017; 9 WHEREAS; on January 17, 2018, the Parties filed a first joint stipulation for extension of 10 time for BANA to respond to the Complaint by twenty-one days; 11 WHEREAS; BANA’s current deadline to respond to the Complaint is presently February 12 9, 2018; 13 WHEREAS; BANA and Plaintiff are continuing to engage in good-faith settlement 14 discussions in an effort to resolve the case without wasting the Court’s time and resources; 15 WHEREAS; BANA, through counsel, has requested a second twenty-one (21) day 16 extension of time within which to respond to the Complaint and Plaintiff, through counsel, has 17 agreed to this request. 18 STIPULATION 19 THEREFORE, the parties agree through their respective attorneys to the following: 20 1. BANA’s time to file a responsive pleading in this action shall be extended by 21 twenty-one days up to and including March 2, 2018. 22 2. This is the second extension of time to respond for BANA. 23 3. This extension will not affect any other deadline in this case. 24 4. This stipulation is without prejudice to the rights, claims, arguments, and defenses 25 of all parties. 26 27 /// 28 /// 2 CASE NO. 2:17-cv-02333-JAM-KJN SECOND JOINT STIPULATION TO EXTEND TIME TO RESPOND TO INITIAL COMPLAINT; [PROPOSED] ORDER 1 All other signatories listed, and on whose behalf the filing is submitted, concur in the 2 filings content and have authorized the filing. 3 4 DATED: February 9, 2018 MCGUIREWOODS LLP 5 By: _/s/ Anthony Q. Le Anthony Q. Le 6 Attorneys for Defendant Bank of America, N.A. 7 8 9 DATED: February 9, 2018 10 11 12 SAGARIA LAW LLP By: _/s/ Elliot Gale (with permission) Elliot Gale Attorneys for Plaintiff Laura Wiley 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 CASE NO. 2:17-cv-02333-JAM-KJN SECOND JOINT STIPULATION TO EXTEND TIME TO RESPOND TO INITIAL COMPLAINT; [PROPOSED] ORDER 1 ORDER 2 3 This Court, having received and reviewed the stipulation of the parties referenced 4 immediately above, and finding good cause therefore, hereby enters the stipulation as the order of 5 the Court. Accordingly, 6 (1) 7 Defendant Bank of America, N.A.’s time to file a responsive pleading in this action shall be extended by twenty-one days up to and including March 2, 2018. 8 (2) This is the second extension of time to respond for BANA. 9 (3) This extension will not affect any other deadline in this case. 10 (4) This stipulation is without prejudice to the rights, claims, arguments, and defenses 11 of all parties. 12 13 IT IS SO ORDERED. 14 15 Dated: 2/9/2018 16 /s/ John A. Mendez_______________________ HONORABLE JOHN A. MENDEZ UNITED STATES DISTRICT COURT JUDGE 17 18 19 20 21 22 23 24 25 26 27 28 4 CASE NO. 2:17-cv-02333-JAM-KJN SECOND JOINT STIPULATION TO EXTEND TIME TO RESPOND TO INITIAL COMPLAINT; [PROPOSED] ORDER

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