Sarbaz v. Wachovia Bank

Filing 10

ORDER to extend time to respond re #9 Stipulation filed by Wachovia Bank. Signed by Judge Charles R. Breyer on 8/26/2010. (be, COURT STAFF) (Filed on 8/27/2010)

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Sarbaz v. Wachovia Bank Doc. 10 1 2 3 4 5 6 Mark T. Flewelling (#96465) mflewelling(Zafrct. corn Raymond M. Collins (#199071) rcollins(afrct. corn ANGL1N, FLEWELLING, RASMUSSEN, CAMPBELL & TRYTTEN LLP 199 S. Los Robles Avenue, Suite 600 Pasadena, California 91101-2459 Tel: (626) 535-1900 Fax: (626) 577-7764 Attorneys for Defendant, WACHO VIA MORTGAGE, a division of WELLS FARGO BANK, N.A., as successor through merger of Wachovia Mortgage, FSB, formerly known as World Savings Bank, FSB, named herein as "Wachovia Bank" 8 9 10 11 12 13 14 15 16 17 18 UNITED STATES DISTRICT COURT NORTHERN DISTRICTOF CALIFORNIA AFHSIN SARBAZ Case No.: 3:10-cv-03462-CRB Plaintiff, (Assigned to the Hon. Charles R. Breyer, t9 District Judge, Courtroom 8 1h Floor) STIPULATION TO FURTHER EXTEND TIME TO RESPOND TO INITIAL COMPLAINT BY NOT MORE THAN 30 DAYS (L.R. 6-1(a)) vs. WACHO VIA BANK, DOE CORPORATIONS 1 10, DOES 1 10, inclusive, -- 19 20 21 22 23 24 25 26 27 28 -- Defendants. Removal Effected: Statutory response date: st 1 Stipulated response date: New response date: 8/06/2010 8/13/2010 8/27/20 10 9/03/2010 CI)oment d Suingnm\LcaI xtodRonDtoCompJanI-2I869I dc IoIrot 1 3:1 O-Cv-03462-CRB STIPULATION TO FURTHER EXTEND DEFENDANT WACHOVIA'S RESPONSE DATE TO COMPLAINT Dockets.Justia.com 1 TO THE HONORABLE COURT, PLAINTIFF AND HIS COUNSEL OF RECORD: 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 Plaintiff AFHSIN SARBAZ and Defendant WACHO VIA MORTGAGE, a division of WELLS FARGO BANK, N.A., as successor through merger of Wachovia Mortgage, FSB, formerly known as World Savings Bank, FSB, named herein as "Wachovia Bank" ("Wachovia"), through their respective counsel of record, initially stipulated pursuant to Local Rule 6-1 to extend Wachovia's response date to Plaintiff's initial Complaint to and including August 27, 2010, a date which is not more than 30 days from the date a response initially would have been due. The parties hereby stipulate to further extend Wachovia's deadline to respond to Plaintiff's complaint to and including September 3, 2010, a date which is still not more than 30 days from the date a response initially would have been due. By this Stipulation, Defendant Wachovia does not waive its right to file a motion to dismiss as to the pending Complaint and Plaintiff does not waive his right to file a motion to remand this action to state court. IT IS SO STIPULATED. Dated: August 25, 2010 LAW OFFICES OF DEBORAH J. PIMENTEL Is! Ali Nehme Ali Nehme, Esq. Attorneys for Plaintiff, AFHSIN SARBAZ By: Dated: August 25, 2010 21 22 23 24 25 26 27 28 UNIT ED ANGLIN, FLEWELLING, RASMUSSEN CAMPBELL & TRYTTEN LLP Raymond M. Collins Raymond M. Collins rcollins(4afrct. corn Attorneys for Defendant WACHO VIA MORTGAGE, a division of WELLS FARGO BANK, N.A., as successor through merger S DISTRICTof Wachovia Mortgage, FSB, formerly known as TE C TA World Savings Bank, FSB, named herein as "Wachovia Bank" D /5/ RT U O By: S Signed: August 26, 2010 CDootooooto ood Sotttno'oornn\LoooI Sottiogt\Tootporo,y Eotoott hOOrot LI FO Judge C . harles R Breyer R NIA O ORD IT IS S ERE Fitot\OLK227\StipttIoo to Roopoott I)to to Comptoiot-2tS69tttoo N F D IS T IC T O R Ftotboo A NO RT ER C2 3:1 O-Cv-03462-CRB STIPULATION TO FURTHER EXTEND DEFENDANT WACHOVIA'S RESPONSE DATE TO COMPLAINT H

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