Kaur v. Bank of America et al

Filing 24

ORDER re 22 GRANTING STIPULATION AS MODIFIED TO EXTEND TIME TO COMPLETE EARLY NEUTRAL EVALUATION UNTIL, AND INCLUDING, NOVEMBER 19, 2010. Signed by Judge Koh on 8/20/2010. (lhklc3, COURT STAFF) (Filed on 8/20/2010)

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Kaur v. Bank of America et al Doc. 24 1 BRYAN CAVE LLP James Goldberg, California Bar No. 107990 2 Berrie R. Goldman, California Bar No. 246061 Two Embarcadero Center, Suite 1410 3 Telephone: (415) 675-3400 Facsimile: (415) 675-3434 james.goldberg@bryancave.com 4 Email: berrie.goldman@bryancave.com 5 7 6 BANK OF AMERICA, N.A. (erroneously sued as BANK OF AMERICA) and RECONTRUST COMPANY, N.A. (erroneously sued as RECONTRUST COMPANY) LAW OFFICES OF MAHESH BAJORIA Attorneys for Defendants 8 Mahesh Bajoria, California Bar No. 224849 39355 California Street, Suite 310 9 Fremont, CA 94538 10 Facsimile: (510) 791-9912 11 Attorney for Plaintiff 12 13 14 15 16 GURPREET KAUR, 17 18 vs. unknown; RECONTRUST COMPANY, a Plaintiff, GURPREET KAUR Telephone: (510) 791-9911 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA, SAN JOSE DIVISION Case No. 5:10-cv-01681-LHK STIPULATION AND [PROPOSED] ORDER EXTENDING TIME TO COMPLETE EARLY NEUTRAL EVALUATION UNTIL, AND INCLUDING, NOVEMBER 19, 2010 [ADR Local Rule 6-5] 19 BANK OF AMERICA, a business entity, form 20 business entity, form unknown; and all person 21 claiming any legal or equitable right, title, 23 24 25 26 27 28 SF01DOCS19848 estate, lien or interest in the property described 22 in this complaint adverse to Plaintiff's title thereto, and DOES 1 through 30, inclusive, Defendants. 1 STIPULATION EXTENDING TIME TO COMPLETE EARLY NEUTRAL EVALUATION Dockets.Justia.com CASE NO. 5:10-CV-01681-LHK 1 Counsel for Plaintiff GURPREET KAUR ("Plaintiff"), and counsel for defendants BANK 2 OF AMERICA, N.A. and RECONTRUST COMPANY, N.A. ("Defendants") submit this 3 stipulation and proposed order requesting extension of time to complete Early Neutral Evaluation: 4 6 8 9 11 13 15 WHEREAS, Plaintiff and Defendants jointly filed a Stipulation and Proposed Order 5 Selecting Early Neutral Evaluation on June 24, 2010; WHEREAS, the Honorable Charles R. Breyer issued an Order referring the case to Early 7 Neutral Evaluation on June 28, 2010; WHEREAS, the ADR unit appointed Stephen E. Taylor as Evaluator on July 16, 2010; WHEREAS, Mr. Taylor has not yet contacted the parties regarding the scheduling of the 10 Early Neutral Evaluation session; WHEREAS, a hearing on Defendants' Motion to Dismiss Pursuant to Federal Rule of 12 Civil Procedure 12(b)(6) is currently set for December 16, 2010; WHEREAS, Plaintiff and Defendants are actively engaged in settlement discussions, 14 including but not limited to modification to the terms of the loans at issue in this lawsuit; WHEREAS, Plaintiff and Defendants agree that judicial economy and the interests of the 16 parties in avoiding unnecessary expenses would be best served and promoted by extending the 17 time required for the parties to complete the Early Neutral Evaluation session by 90 days; 18 NOW, THEREFORE, Plaintiff and Defendants desire and hereby STIPULATE that 19 Plaintiff and Defendants shall have until, and including, December 27, 2010 to complete Early 20 Neutral Evaluation. 21 /// 22 /// 23 /// 24 /// 25 /// 26 /// 27 /// 28 SF01DOCS19848 2 STIPULATION EXTENDING TIME TO COMPLETE EARLY NEUTRAL EVALUATION CASE NO. 5:10-cv-01681-LHK 1 IT IS SO STIPULATED. 2 Dated: August 3, 2010 3 4 5 6 7 8 9 Dated: August 3, 2010 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 SF01DOCS19848 BRYAN CAVE LLP Robert A. Padway, Esq. Berrie R. Goldman, Esq. By: /s/ Berrie R. Goldman Berrie R. Goldman Attorneys for Defendants BANK OF AMERICA, N.A. and RECONTRUST COMPANY, N.A. LAW OFFICES OF MAHESH BAJORIA By: /s/ Mahesh Bajoria Mahesh Bajoria Attorney for Plaintiff GURPREET KAUR 3 STIPULATION EXTENDING TIME TO COMPLETE EARLY NEUTRAL EVALUATION CASE NO. 5:10-cv-01681-LHK 1 2 4 ORDER Having reviewed the stipulation of Plaintiff Gurpreet Kaur and Defendants Bank of 3 America, N.A. and ReconTrust Company, N.A., and good cause appearing, IT IS HEREBY ORDERED THAT Plaintiff and Defendants' Stipulation is APPROVED 5 AS MODIFIED. Plaintiffs and Defendants shall have until, and including, November 19, 2010 to 6 complete Early Neutral Evaluation. 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 SF01DOCS19848 August 20, 2010 Dated: ___________ ________________________________ Hon. Lucy H. Koh, District Court Judge United States District Court Northern District of California 4 STIPULATION EXTENDING TIME TO COMPLETE EARLY NEUTRAL EVALUATION CASE NO. 5:10-cv-01681-LHK

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