USA v. Real Property located at 2033 Bastona Drive, Elk Grove, California, Sacramento County, APN: 119-1860-037-0000 et al

Filing 37

STIPULATION and ORDER signed by District Judge Kimberly J. Mueller on 9/6/2019 APPROVING 36 Stipulation. Claimants' 4 Claim is hereby DEEMED WITHDRAWN. Claimants Corey Fenig and Faye Fenig are hereby DEEMED DISMISSED from the above-captioned case. (York, M)

Download PDF
1 2 3 4 5 Christopher J. Donovan (SBN 315982) Doss Law, LLP 29042 Bouquet Canyon Road Silverado, CA 92676 Tel: (949) 535-1460 Fax: (800) 584-6950 Chris@DossLaw.com Attorney for Claimant 6 7 8 UNITED STATES DISTRICT COURT 9 EASTERN DISTRICT OF CALIFORNIA 10 11 12 13 14 15 16 17 18 19 ) ) CIVIL NO. 2:18-cv-00799-KJM-CKD ) Plaintiff, ) STIPULATION AND ORDER TO ) WITHDRAW CLAIM OF v. ) LIENHOLDERS, COREY FENIG AND ) FAYE FENIG, TRUSTEES OF THE 2008 REAL PROPERTY LOCATED AT 5313 ) KUNGSTING WAY, ELK GROVE, ) COREY AND FAY FENIG REVOCABLE CALIFORNIA, SACRAMENTO COUNTY, ) LIVING TRUST APN: 132-1620-047-0000, INCLUDING ALL ) APPURTENANCES AND IMPROVEMENTS ) ) THERETO, ) ) Defendant. ) UNITED STATES OF AMERICA, 20 21 22 IT IS HEREBY STIPULATED by and between claimants, Corey Fenig 23 and Faye Fenig, Trustees of the 2008 Corey and Faye Fenig Revocable Trust, 24 and Plaintiff, the United States of America (“Plaintiff”), by and through its 25 undersigned counsel, Kevin C. Khasigian, Assistant U.S. Attorney, as follows: 26 27 1. Claimants asserted a lienholder interest in the defendant property located at 5313 Kungsting Way, Elk Grove, California, APN: 132-1620-047- 28 1 ______________________________________________________ Stipulation and Order To Withdraw Claim 1 0000, including all appurtenances and improvements thereto (“Defendant 2 Kungsting Way”). 3 4 5 6 7 2. The loan has since been satisfied and Claimants no longer have an interest in the Defendant Kungsting Way property. 3. Accordingly, Claimants hereby withdraw their Claim filed May 23, 2018 (Document 4) in the above-captioned case with respect to the Defendant Kungsting Way property. 8 4. To the extent required under the Federal Rules of Civil Procedure, 9 10 11 12 Rule 41(a), Plaintiff agrees to dismiss with prejudice Claimants in the abovecaptioned case pursuant to the Federal Rules of Civil Procedure, Rule 41(a). Defendant Kungsting Way is the in rem defendant. 5. Each party hereto is to bear its own costs. 14 6. Claimants are hereby removed from the Service List for the above- 15 captioned case. 16 Date: August 23, 2019 By: /s/ Corey Fenig Corey Fenig, Trustee Date: August 23, 2019 By: /s/ Faye Fenig Faye Fenig, Trustee 13 17 18 19 20 21 (Signatures retained by attorney) 22 23 24 25 26 27 Date: 9/5/2019 McGREGOR W. SCOTT United States Attorney /s/ Kevin C. Khasigian KEVIN C. KHASIGIAN Assistant U.S. Attorney 28 2 ______________________________________________________ Stipulation and Order To Withdraw Claim 1 ORDER 2 3 4 The Court has read and considered the Stipulation to Withdraw Claim by 5 Corey Fenig and Faye Fenig, Trustees of the 2008 Corey and Faye Fenig 6 Revocable Trust, and Plaintiff, United States of America, by and through their 7 respective counsel (collectively, the “Parties”). For the reasons stated in the 8 Stipulation and for good cause shown, IT IS HEREBY ORDERED as follows: 9 1. The Stipulation is approved. 10 2. Claimants Claim filed May 23, 2018 (Document 4) in the above- 11 captioned case is hereby deemed withdrawn. 12 13 14 3. Claimants are hereby deemed dismissed from the above-captioned case. IT IS SO ORDERED. 15 16 DATED: September 6, 2019. 17 18 UNITED STATES DISTRICT JUDGE 19 20 21 22 23 24 25 26 27 28 3 ______________________________________________________ Stipulation and Order To Withdraw Claim

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?