May v. Washington Mutual Brokerage Holdings, Inc. et al

Filing 101

STIPULATION AND ORDER Granting Request to Extend Last Date for Hearing Dispositive Motions re 99 Stipulation. Set/Reset Deadlines as to 99 Stipulation. Last Date for Hearing Dispositive Motions set for 10/21/2011, 100 MOTION for Summary Judgm ent: Opposition due due by 9/23/2011. Reply due by 9/30/2011. Motion Hearing set for 10/14/2011 09:00 AM in Courtroom 1, 5th Floor, San Jose before Hon. Edward J. Davila (previously set). Signed by Judge Edward J. Davila on 5/17/2011. (ecg, COURT STAFF) (Filed on 5/17/2011)

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1 2 3 4 5 6 7 8 9 10 JOHN M. SORlCH (CA Bar 125223) j sorich@alvaradosmith.com S. CHRISTOPHER YOO (CA Bar No. 169442) cyoo@alvaradosmith.com GEOFFREY BRETHEN (CA Bar No. 259873) gbrethen@alvaradosmith.com ALV ARADOSMITH A Professional Corporation 1 MacArthur Place, Suite 200 Santa Ana, California 92707 Tel: (714) 852-6800 Fax: (714) 852-6899 Attorneys for Defendant JPMORGAN CHASE BANK, N.A., AN ACQUIRER OF CERTAIN ASSETS AND LIABILITIES OF WASHINGTON MUTUAL BANK FROM THE FDIC ACTING AS RECEIVER 11 UNITED STATES DISTRICT COURT 12 NORTHERN DISTRICT OF CALIFORNIA 13 :i !: ;: f/ 0 " "" '" "" ,. .. ~ 14 15 MYRRAMAY, Plaintiffs, 16 17 18 19 20 21 CASE NO.: C09-00459 JW JUDGE: v. Hon. Edward J. Davila STIPULATION TO EXTEND LAST DAY HEARINGS ON DISPOSITIVE MOTIONS FOR WASHINGTON MUTUAL BROKERAGE HOLDINGS, INC., d.b.a.WASHINGTON MUTUAL BANK, JP MORGAN CHASE, AND THE FEDERAL DEPOSIT INSURANCE CORPORATION AS RECEIVER FOR WASHINGTON MUTUAL BANK, Defendant. 22 23 24 25 26 27 28 This Stipulation to Extend Hearings on Dispositive Motions and Order Thereon ("Stipulation") is entered by, between, and amongst plaintiff Myrra May ("Plaintiff') and defendant JPMorgan Chase Bank, N.A. (nJPMorgan"), an acquirer of certain assets and liabilities of STIPULATION TO EXTEND HEARINGS ON DISPOSITIVE MOTIONS 1 Washington Mutual Bank from the Federal Deposit Insurance Corporation acting as receiver, by and 2 through their respective counseL. 3 WHEREAS, the parties seek postponement of the last day for hearings on dispositive 4 motions to allow JPMorgan's motion for summary judgment to be heard. Despite a dispositive motion 5 hearing deadline of June 27, 2011, the first available date to hear the motion for summary judgment is 6 October 14,2011 due to a backlog with the court. 7 8 9 10 NOW, THEREFORE, IT is HEREBY STIPULATED AND AGREED BY AND BETWEEN THE UNDERSIGNED COUNSEL FOR THE PARTIES HERETO: 1. The last day for hearings dispositive motions, currently set for June 27, 2011, be continued to October 21,2011; 11 2. Plaintiff shall fìe her opposition on or before September 23, 201 i; and 12 3. JPMorgan shall file its' reply brief on or before September 30, 201 1. 13 14 ~ ;: f/ 0 " " '" "" ,. .. ~ ~ z " " z ~ 15 DATED: May 13,2011 .; AL V ARADOSMITH A Professional Corporation 16 17 By: lsI Geoffrey C. Brethen JOHNM.SORlCH 18 CHRISTOPHER YOO GEOFFREY C. BRETHEN Attorneys for Defendant JPMORGAN CHASE BANK, N.A., AN ACQUIREROFCERTAINASSETS AND LIABILITIES OF WASHINGTON MUTUAL BANK FROM THE FDIC ACTING AS RECEIVER 19 20 21 22 23 DATED: May 13,2011 FAIR HOUSING LAW PROJECT 24 25 By: lsI Annette D. Kirkham ANNETTE D. KIRKHAM, ESQ. Attorneys for Plaintiff 26 MYRRMAY 27 28 2 STIPULATION TO EXTEND HEARINGS ON DISPOSITIVE MOTIONS 1 ORDER 2 3 GOOD CAUSE APPEARING, IT IS ORDERED THAT: 4 1. The last day for hearings dispositive motions, currently set for June 27, 2011, be 5 continued to October 21,2011; 6 2. Plaintiff shall fìe her opposition on or before September 23, 201 1; and 7 3. JPMorgan shall fie its' reply brief on or before September 30,2011. 8 9 10 11 12 13 :i !: ;: Date: May 17, 2011 14 Judge of the United States District Court f/ 0 " "" '" "" ,. .. ~ 15 16 17 18 19 20 21 22 23 24 25 26 27 28 3 STIPULATION TO EXTEND HEARINGS ON DISPOSITVE MOTIONS PROOF OF SERVICE 1 2 STATE OF CALIFORNIA, COUNTY OF ORANGE 3 May v. Washington Mutual, et at., USDC Case No.: C09-00459-JW 4 I am employed in the County of Orange, State of California. I am over the age of 18 years business address is ALV ARJDO SMITH, 1 MacArthur and not a party to the within action. My 5 Place, Santa Ana, CA 92707. 6 On May 13,2011, I the foregoing served document described as STIPULATION TO EXTEND LAST DAY FOR HEARINGS ON DISPOSITIVE MOTIONS 7 ~ by placing the original and/or a true copy thereof enclosed in (a) sealed envelope(s), 8 addressed as follows: SEE ATTACHED SERVICE LIST 9 10 MAIL: I deposited such envelope in the mail at 1 MacArthur Place, Santa Ana, California. The envelope was mailed with postage thereon fully prepaid. ~ BY REGULAR 11 I am "readily familiar" with the firm's practice of collection and processing correspondence for mailing. It is deposited with the U.S. Postal Service onthat same day in the ordinary course üfbusiness. I am aware that on motion of the party served, service is presumed invalid if postal cancellation date or postage meter date is more than one (I) day after date of deposit 12 :i f- i f/ 0 " "" 13 for mailing in affidavit. 14 '" BY THE ACT OFFILINGORSERVICE,THAT THE "" ,. .. ~ 15 16 PRODUCED ON PAPER PURCHASED AS DOCUMENT WAS RECYCLED. D BY FACSIMILE MACHINE: I Tele-Faxed a copy ofthe original document to the above facsimile numbers. 17 such documents at the Overnite Express or Federal Express Drop Box located at 1 MacArthur Place, Santa Ana, California 92707. The envelope was deposited with delivery fees thereon fully prepaid. D BY OVERNIGHT MAIL: I deposited 18 19 20 21 D BY PERSONAL SERVICE: I caused such envelope(s) to be delivered by hand to the above addressee(s) . ~ (Federal) I declare that I am employed in the office of a member of whose direction the service was made. 22 Executed on May 13, 2011, at Santa Ana, California. 23 24 25 26 27 28 PROOF OF SERVICE i 086439.1 the Bar of this Court, at SERVICE LIST 1 2 May v. Washington Mutual, et al'J US 3 4 DC Case No.: C09-00459-JW Annette D. Kirkham, Esq. Silcone Valley Fair Housing Law Project 111 West SaintJ ohn Street, #315 San Jose, CA 95113 Telephone: (408) 280-2410 Facsimile: (408) 293-01 06 Law Foundation of 5 6 7 8 9 10 11 12 :i f- i f/ 0 " "" 13 annettek@lawfoundation.com Attorneys for Plaintiff Shaobin Zhu, Esq. Finnegan, Henderson, Farabow, Garrett & Duimer, LLP Stanford Research Park 3300 Hillview Avenue Palo Alto, CA 94304-1203 COURTESY COPY Annette D. Kirkham, Esq. Law Foundation Of Silicone Valley 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 PROOF OF SERVICE 1086439.1 Attorneys for Plaintiff Attorneys for Plaintiff 152 N. 3rd Street 3rd Floor San Jose, CA 95112 "" ,. .. shaobin.zhu@finnegan.com Telephone: (408) 280-2410 Facsimile: (408) 293-0106 annettek@lawfoundation.com '" ~ Telephone: (650)849-6600 Facsimile: (650) 849-6666

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