Judan et al v. Wells Fargo Bank, National Association, As Lender et al

Filing 58

ORDER by Judge Haywood S. Gilliam, Jr. Denying 57 Motion to Appear by Telephone at the Motion to Dismiss Hearing. (ndrS, COURT STAFF) (Filed on 10/18/2017)

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A NGLIN F LEWELLING R ASMUSSEN C AMPBELL & T RYTTEN LLP 1 Viddell Lee Heard (# 175049) vheard@afrct.com 2 ANGLIN, FLEWELLING, RASMUSSEN, CAMPBELL & TRYTTEN LLP 3 301 N. Lake Avenue, Suite 1100 4 Pasadena, California 91101-4158 Telephone: (626) 535-1900 5 Facsimile: (626) 577-7764 6 Attorneys for Defendant WELLS FARGO BANK, N.A., successor 7 by merger with Wells Fargo Bank 8 Southwest, N.A., f/k/a Wachovia Mortgage, FSB, f/k/a World Savings Bank, FSB 9 (“Wells Fargo”) 10 UNITED STATES DISTRICT COURT 11 NORTHERN DISTRICT OF CALIFORNIA 12 13 MANUEL A. JUDAN, an individual and MARYLYN CALLEJO-JUDAN, an 14 individual, 15 Plaintiffs, 16 v. 17 CASE NO.: 4:15-CV-05029-HSG [Assigned to the Hon. Haywood S. Gilliam, Jr.] DEFENDANT WELLS FARGO’S REQUEST FOR PERMISSION TO APPEAR TELEPHONICALLY AT THE MOTION TO DISMISS HEARING WELLS FARGO BANK, N.A., a business 18 entity; and DOES 1 TO 100 INCLUSIVE, 19 Defendants. 20 Date: November 2, 2017 Time: 2:00 p.m. Crtrm.: 2, 4th Floor 21 22 23 24 25 26 27 28 93000/FR1748/01874669-1 CASE NO.: 4:15-CV-05029-HSG REQUEST TO APPEAR TELEPHONICALLY 1 TO THE CLERK AND THE HONORABLE HAYWOOD S. GILLIAM, JR.: 2 Counsel for Defendant Wells Fargo Bank, N.A., successor by merger with Wells Fargo 3 Bank Southwest, N.A., formerly known as Wachovia Mortgage, FSB, formerly known as World 4 Savings Bank, FSB (“Wells Fargo”) hereby requests permission to appear telephonically at the 5 Motion to Dismiss hearing, scheduled for November 2, 2017. Grounds for the request are as follows: 7 1. Wells Fargo’s counsel is located in Pasadena, California. 8 2. An appearance by telephone will save substantial legal fees and costs. Allowing 9 counsel to appear by telephone at the Motion to Dismiss hearing in this case will 10 allow him to more efficiently meet his obligations to this case as well as others. 11 3. If allowed to appear before this Court on November 2, 2017, Defendant’s counsel 12 will be fully prepared to address all issues raised in the pending motion. 13 14 Dated: October 18, 2017 15 16 ANGLIN FLEWELLING RASMUSSEN CAMPBELL & TRYTTEN, LLP /s/ Viddell L. Heard Viddell L. Heard vheard@afrct.com Attorneys for Defendant Wells Fargo Bank Southwest, N.A., formerly known as Wachovia Mortgage, FSB, formerly known as World Savings Bank, FSB (“Wells Fargo”) By: 19 20 21 23 S DATED: 10/18/2017 24 D DENIE 25 NO ER 28 93000/FR1748/01874669-1 m Jr. A H 27 Jud S. Gillia LI RT 26 ood g e H ay w RT U O 22 S DISTRICT TE C TA R NIA 18 FO 17 UNIT ED A NGLIN F LEWELLING R ASMUSSEN C AMPBELL & T RYTTEN LLP 6 N F D IS T IC T O R C CASE NO.: 4:15-CV-05029-HSG REQUEST TO APPEAR TELEPHONICALLY

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