Ross et al v. US Bank National Association

Filing 281

ORDER continuing cmc to 5/7/10 (tf, COURT STAFF) (Filed on 4/6/2010)

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1 RICHARD J. SAHATJIAN (SBN 252442) 2 BUCKLEYSANDLER LLP 3 Los Angeles, CA 90067 1801 Century Park East, Suite 2240 Telephone: (424) 203-1000 4 Facsimile: (424) 203-1019 6 BUCKLEYSANDLER LLP 7 Washington, DC 20037 5 BENJAMIN B. KLUBES (admitted pro hac vice) 1250 24th Street, NW, Suite 700 Telephone: (202) 349-8000 8 Facsimile: (202) 349-8080 9 Attorneys for Defendant 10 11 12 13 14 16 17 18 RBS Financial Products Inc. UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA SAN FRANCISCO DIVISION GREGORY M. JORDAN, ELI GOLDHABER, and on behalf of all others similarly situated, Plaintiffs, v. Paul Financial, LLC, Luminent Mortgage Case No. 3:07-CV-04496-SI CLASS ACTION Hon. Susan Illston RBS FINANCIAL PRODUCTS INC.'S REQUEST FOR PERMISSION TO APPEAR AT CASE MANAGEMENT CONFERENCE BY TELEPHONE AND [PROPOSED] ORDER 15 and JOSEPHINA GOLDHABER, individually 19 Capital, Inc., HSBC Bank USA, N.A., As 21 22 23 24 25 26 27 28 through 10 inclusive, 20 RBS Financial Products, Inc., and DOES 2 Defendants. Trustee of Luminent Mortgage Trust 2006-2, REQUEST FOR PERMISSION TO APPEAR AT CMC BY TELEPHONE AND [PROPOSED] ORDER Jordan et al. v. Paul Financial et al., No. 3:07-CV-04496-SI 1 Defendant RBS Financial Products Inc. ("RBS") hereby submits this request for permission 2 from the Court for lead counsel Benjamin B. Klubes to appear at the parties' Case Management 3 Conference ("CMC"), currently scheduled for April 9, 2010 at 3:00 p.m., by telephone rather than 4 in person, with good cause shown as follows: 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 IT IS SO ORDERED. 21 Attorney Benjamin B. Klubes may appear at the parties' April 9, 2010 Case Management 22 Conference by telephone. 23 24 Date: 25 26 27 28 -2REQUEST FOR PERMISSION TO APPEAR AT CMC BY TELEPHONE AND [PROPOSED] ORDER Jordan et al. v. Paul Financial et al., No. 3:07-CV-04496-SI 1. 2. RBS's lead counsel, Benjamin B. Klubes, is a resident of Washington, DC. It would be unduly burdensome and costly for RBS's counsel to travel from Washington, DC, to San Francisco, California, for the CMC. 3. The telephonic appearance of RBS's lead counsel will not prejudice any party and will not hamper the efficient running of the CMC. 4. Therefore, RBS respectfully requests leave to allow its lead counsel to appear at the CMC via telephone. Dated: March 31, 2010 Respectfully submitted, BUCKLEYSANDLER LLP By: /s/ Richard J. Sahatjian RICHARD J. SAHATJIAN (SBN 252442) -andBENJAMIN B. KLUBES (admitted pro hac vice) Attorneys for Defendant RBS Financial Products, Inc. Hon. Susan Illston United States District Judge Northern District of California

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