Schoenbart v. JPMorgan Chase Bank, National Association et al
Filing
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ORDER GRANTING 23 STIPULATION TO EXTEND DEADLINES.(whalc2, COURT STAFF) (Filed on 2/26/2016)
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Jason W. Estavillo (Bar No. 188093)
LAW OFFICES OF JASON ESTAVILLO, PC
1330 Broadway, Suite 1030
Oakland, CA 94612
Telephone: (510) 982-3001
Facsimile: (510) 982-3002
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Attorneys for Theresa M. Schoenbart
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UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORNIA
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SAN FRANCISCO DIVISION
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THERESA M. SCHOENBART,
Plaintiff,
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vs.
JPMORGAN CHASE BANK, N.A., et al.,
Defendants
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Case No.: 3:16-CV-00070
STIPULATION AND [PROPOSED]
ORDER FOR EXTENSION OF
DEADLINES
Date: March 31, 2016
Time: 8:00 A.M.
Courtroom: 8, 19th Floor
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Stipulation is entered into by and between Plaintiff Theresa M. Schoenbart (“Plaintiff”), and
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Defendants Caliber Home Loans, Inc. (hereafter “Caliber” or “Defendants”) by and through their
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counsel stipulate and agree as follows:
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WHEREAS, a Notice of Removal was filed January 6, 2016;
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WHEREAS, Defendant Caliber Home Loans, Inc. filed a Motion to Dismiss OF February 12,
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2016, which is scheduled for hearing on March 31, 2016;
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WHEREAS, the current Response and Reply due dates are February 26, 2016 and March 2,
2016, respectively;
LAW OFFICE OF JASON
W. ESTAVILLO
1330 Broadway, Suite 1030
Oakland, CA 94612
Telephone: (510) 982-3001
Facsimile: (510) 982-3002
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_________________________________________________________________________________________________
STIPULATION AND [PROPOSED] ORDER FOR EXTENSION OF DEADLINES
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WHEREAS, the parties stipulate and agree that the Response and reply due dates be extended by five
(5) days so that the Response is due March 2, 2016 and the Reply is due March 9, 2016.
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STIPULATION
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IT IS THEREFORE STIPULATED AND AGREED by and between Plaintiffs and
Defendants, and subject to the approval of the Court, that:
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1. The Motion to Dismiss Response and Reply deadlines will be extended by five (5) days to
March 2, 2016 and March 9, 2016, respectively.
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Based upon the above the parties respectfully request that the Court approve this Stipulation
and sign the proposed order set forth below.
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IT IS SO STIPULATED.
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Dated: February 26, 2016
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PERKINS COIE LLP
/s/Kristine Elizabeth Kruger
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Kristine Elizabeth Kruger
Attorney for Caliber Home Loans, Inc.
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Dated: February 26, 2016
LAW OFFICE OF JASON W. ESTAVILLO, PC
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/s/Jason W. Estavillo
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Jason W. Estavillo
Attorney for Theresa M. Schoenbart
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LAW OFFICE OF JASON
W. ESTAVILLO
1330 Broadway, Suite 1030
Oakland, CA 94612
Telephone: (510) 982-3001
Facsimile: (510) 982-3002
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_________________________________________________________________________________________________
STIPULATION AND [PROPOSED] ORDER FOR EXTENSION OF DEADLINES
[PROPOSED] ORDER
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Having read the foregoing Stipulation of the parties and GOOD CAUSE appearing
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IT IS ORDERED that:
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1. The Motion to Dismiss Response and Reply deadlines will be extended by five (5) days to
March 2, 2016 and March 9, 2016 respectively. No more extensions will be granted.
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IT IS SO ORDERED.
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February 26
Dated: ________________, 2016
_____________________________________
Judge of the District Court
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LAW OFFICE OF JASON
W. ESTAVILLO
1330 Broadway, Suite 1030
Oakland, CA 94612
Telephone: (510) 982-3001
Facsimile: (510) 982-3002
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_________________________________________________________________________________________________
STIPULATION AND [PROPOSED] ORDER FOR EXTENSION OF DEADLINES
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