Ubungen et al v. Realty World-Property Exchange et al
Filing
11
STIPULATION AND ORDER RE: 10 TO EXTEND TIME TO RESPOND TO PLAINTIFFS' COMPLAINT. (rslc2, COURT STAFF) (Filed on 8/4/2009)
Stuart B. Wolfe (SBN 156471) Natilee S. Riedman (SBN 257871) nsriedman@woifewyman.com WOLFE & WYMAN LLP 2175 N California Blvd, Suite 415 . Walnut Creek, California 94596 Telephone: (925) 280-0004 Facsimile: (925) 280-0005
Attorneys for Defendant NATXONALcrry MORTGAGE COMPANY
*E-Filed 8/4/09*
UNITED STATES DISTRICT COURT
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NORTHERN DISTRICT OF CALIFORMA
SAN JOSE DIVISION
RONNIE UBUNGEN and MAYBELLINE UBUNGEN,
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Case No: 5:09-CV-03063-RS
Plaintiffs,
STIPULATION TO EXTEND TIME TO RESPOND TO PLAINTIF'F'S' COMPLAINT
NATIONAL CITY MORTGATE CO., an Ohio Corporation, CAL-WESTERN RECONVEYANCE COW., a California Corporation, GREEN TREE SERVICING, LLC, an Arizona-based Company, and DOES 120,
Defendants.
REAI,TY WORLD- PROPERTY EXCHANGE,a California Co oration,
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TO ALL PARTlES HEREIN AND TO THEIR RESPECTIVE ATTORNEYS OF
24 RECORD:
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26
This Stipulation is made pursuant to Local Rule 6-144 and is made by and between
Plaintiffs RONME UBUNGEN and MAYBELLINE UBUNGEN and Defendant NATIONAL
27 CITY MORTGAGE COMPANY (sued as "National City Mortgage, Co."), (hereinafter "National
28 City") and through their respective counsel of record. Plaintiffs and National City agree and by
STIPULATION m E
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m TIME TO RESPOND
stipulate as follows:
A.
On or about July 28,2009, Plaintiffs' counsel contacted National City's counsel to
request that National City postpone filing a response to PlaintifTs Complaint, in light of possible future settIement negotiations.
B.
Due to said request, on or about July 29,2009, National City's counsel requested
and Plaintiffs' counsel granted an extension of time to respond to the Complaint until and including
August 27,2009.
C.
National City previously obtained one extension of time in this matter.
D.
the Court.
This Stipulation does not alter the date of any event or any deadline already fixed by
E .
This Stipulation is made with the understanding that Plaintiffs do not waive their
right to challenge the jurisdiction of the above-referenced Court.
WHEREFORE, the parties to this action agree and stipulate that National City has until and
including August 27,2009 to respond to Plaintiffs' Complaint.
DATED: July 30,2009
WOLFE & WYMAh?LLP
STUART B. WOLFE NATXLEE S WDMAN . Attorneys for Defendant NATIONAL CITY MORTGAGE COMPANY
DATED:
ca3 . 0 ?, ,2009
LAW OFFICE OF EVELYN DELA CRUZ ALFONSO
EVELW A L F ~ . .O D. S Attorney f~~plaintiffs RONNlE UBUNGEN and MAYBELLINE
UBUNGEN
By:
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S:UAdlasW16and Cily Bank (1264) (WCPlO7 (ilbnrgmpPludinp\LbngaStipo*UQ b Funher Ertead Tune.doc
STWULATTON TO EXTEND TIME TO RESPOND
ORDER ON STIPULATION
The Court having reviewed the stipulation of the parties, and good cause appearing
therefore, ORDERS that National Ct s h d have including and until August 27,2009 to respond iy
t Plaintiffs' Complaint in this matter. o
IT IS SO ORDERED.
8/4/09
Dated: UNITED STATES DISTIUCT JUDGE
MAGISTRATE
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WatlrnWujonal city Bank (12W 0 1 0 7 RBun~m)\Pl&gaNhunm
STIPULATION TO EXTEND TIME TO RESPOND
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