York -v- Bank of America, et al
Filing
163
JOINT STIPULATION AND ORDER TO CONTINUE TRIAL AND CORRESPONDING ADR, DISCOVERY AND MOTION DEADLINES. Jury Selection/Trial previously set for 2/27/2017 Continued to 9/11/2017 at 09:00 AM in Courtroom 3, 17th Floor, San Francisco before Hon. Richar d Seeborg. Pretrial Conference previously set for 2/9/2017 Continued to 8/24/2017 at 10:00 AM in Courtroom 3, 17th Floor, San Francisco before Hon. Richard Seeborg. Signed by Judge Richard Seeborg on 9/12/16. (cl, COURT STAFF) (Filed on 9/12/2016)
ROBERT F. KANE, ESQ. (State Bar No. 7l407)
1 LAW OFFICES OF ROBERT F. KANE
870 Market Street, Suite 1128
2 San Francisco, CA 94l02
Tel: (4l5) 982-l5l0; Fax: (415) 982-5821
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SHIRLEY HOCHHAUSEN (State Bar No. 145619)
4 BAY VIEW HUNTERS POINT COMMUNITY LEGAL
4622 3rd St.
5 San Francisco, CA 94124
Tel: (415) 735-4124; Fax: (415) 534-3469
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Attorneys for Plaintiffs
7 WILLIE YORK and CAROLYN YORK MILES
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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WILLIE YORK et al.,
Plaintiffs,
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vs.
BANK OF AMERICA, CHAMPION
MORTGAGE, et al.,
Defendants.
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CASE NO. 14-CV-02471 RS
Assigned to Magistrate Judge:
Judge Richard Seeborg
ORDER
JOINT STIPULATION TO CONTINUE
TRIAL AND CORRESPONDING ADR,
DISCOVERY
AND
MOTION
DEADLINES
Trial: February 27, 2017
Plaintiffs WILLIE YORK and CAROLYN YORK MILES (“Plaintiffs”) and Defendants
20 NATIONSTAR MORTGAGE LLC doing business as Champion MORTGAGE COMPANY
21 erroneously sued as Champion MORTGAGE (“Champion”), BANK OF AMERICA, N.A. (“B of
22 A”), THOMAS PERKINS (“Perkins”), REVERSE MORTGAGES OF CALIFORNIA, NL, INC.,
23 and RPM MORTGAGE, INC., (collectively “Parties”) hereby agree and stipulate as follows:
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WHEREAS, trial in this matter is set for February 27, 2017 with corresponding discovery
25 and motion cut-offs;
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WHEREAS, the Parties had a mediation with Tamara Lange on August 11, 2016;
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WHEREAS, the Parties and the mediator believe that further discussion will be productive
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JOINT STIPULATION TO CONTINUE TRIAL DATE AND CORRESPONDING DEADLINES
Case No. 14-CV-02471 RS
Page 1 of 3
1 without the parties expending resources for discovery, motions, and trial preparation;
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WHEREAS, the Parties will be having further contact with the mediator as there are some
3 actions that need to be taken before fruitful settlement discussion can occur;
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WHEREAS, the Parties have agreed and request that this Court continue the trial date from
5 February 27, 2017 to September 11, 2017. The Parties further request that the deadline to
6 designate expert witnesses be continued from October 7, 2016 to April 21, 2017; the deadline to
7 designate supporting and/or rebuttal experts be continued from October 28, 2016 to May 12, 2017;
8 the discovery cut-off date be continued from November 18, 2016 to June 1, 2017, and the pre-trial
9 motion cut-off date be continued from December 22, 2016 to July 6, 2017.
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NOW, THEREFORE, IT IS HEREBY STIPULATED AND AGREED THAT:
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The trial date in this matter shall be continued from February 27, 2017 to September 11,
12 2017. The deadline to designate expert witnesses shall be continued from October 7, 2016 to
13 April 21, 2017; the deadline to designate supporting and/or rebuttal experts shall be continued
14 from October 28, 2016 to May 12, 2017; the discovery cut-off date shall be continued from
15 November 18, 2016 to June 1, 2017, and the pre-trial motion cut-off date shall be continued from
16 December 22, 2016 to July 6, 2017. Pretrial Conference shall be continued from
February 9, 2017 to August 24, 2017.
17 DATED: September 9, 2016
LAW OFFICES OF ROBERT KANE
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By:
/s/Robert F. Kane
Robert F. Kane
Attorneys for Plaintiffs WILLIE YORK and
CAROLYN YORK MILES
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DATED: September 9, 2016
LAW OFFICES OF GLENN H. WECHSLER
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By: /s/Glenn Wechsler
Glenn Wechsler
Attorneys for Defendant NATIONSTAR MORTGAGE
LLC doing business as Champion MORTGAGE
COMPANY erroneously sued as Champion
MORTGAGE
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JOINT STIPULATION TO CONTINUE TRIAL DATE AND CORRESPONDING DEADLINES
Case No. 14-CV-02471 RS
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DATED: September 9, 2016
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MCGUIRE WOODS
By: /s/Alison Lippa
ALISON LIPPA
Attorneys for Defendant BANK OF AMERICA, N.A.
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DATED: September 9, 2016
OGAS CHIN
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BY: _____ /s/ Dennis Chin ____________________
Dennis Chin
Counsel for Defendant THOMAS PERKINS
8 DATED: September 9, 2016
DOYLE & SCHALLERT
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BY: _____ /s/ David Doyle ____________________
David Doyle
Counsel for Defendants REVERSE
MORTGAGES OF CALIFORNIA
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*I hereby attest that I have received authorization to provide any signatures indicated by a
13 “conformed” signature (/s/) within this e-filed document.
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9/12/16
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JOINT STIPULATION TO CONTINUE TRIAL DATE AND CORRESPONDING DEADLINES
Case No. 14-CV-02471 RS
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