Busch et al v. CitiMortgage, Inc. et al

Filing 63

STIPULATION AND ORDER Granting Request for Extending Deadline of Defendants Litton Loan Servicing LP and MTGLQ Investors, LP to Respond to Complaint re 60 Stipulation. Response by MTGLQ Investors, LP, Litton Loan Servicing LP due 10/17/2011. Signed by Judge Edward J. Davila on 10/6/2011. (ecg, COURT STAFF) (Filed on 10/6/2011)

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Attorneys for Defendants LITTON LOAN SERVICING LP and MTGLQ INVESTORS, LP S ER R NIA J . D av i l a FO d w a rd J u d ge E H 7 RT 6 NO 5 LI 4 DERED O OR IT IS S A 3 UNIT ED 2 MARY KATE SULLIVAN (State Bar No. 180203) mks@severson.com THOMAS N. ABBOTT (State Bar No. 245568) tna@severson.com SEVERSON & WERSON A Professional Corporation One Embarcadero Center, Suite 2600 San Francisco, CA 94111 Telephone: (415) 398-3344 Facsimile: (415) 956-0439 RT U O 1 S DISTRICT TE C TA N 8 D IS T IC T R OF C 10/6/2011 9 UNITED STATES DISTRICT COURT 10 NORTHERN DISTRICT OF CALIFORNIA 11 12 LARRY BUSCH, KAREN BUSCH, Case No.: 5:11-CV11-03192 EJD 13 STIPULATION EXTENDING DEADLINE OF DEFENDANTS LITTON LOAN SERVICING LP AND MTGLQ INVESTORS, LP TO RESPOND TO COMPLAINT 14 Plaintiffs, vs. 15 CITIMORTGAGE, INC., AMERICAN HOME MORTGAGE SERVICING, INC., 16 LITTON LOAN SERVICING, L.P., MTGLQ INVESTORS, L.P., DOES 1 17 through 50, all persons unknown, claiming any legal or equitable right, title, estate, lien, or 18 interest in the real property described in the complaint adverse to Plaintiff's title or any 19 cloud on Plaintiff's title thereto, 20 Defendants. 21 22 Plaintiffs Larry Busch and Karen Bush (collectively, “Plaintiffs”) and defendants Litton 23 Loan Servicing LP (“Litton”) and MTGLQ Investors, LP (“MTGLQ”) (Litton and MTGLQ are 24 collectively, “Defendants”), through their respective counsel, stipulate as follows: 25 Plaintiffs and Defendants previously stipulated to extend Litton’s and MTGLQ’s deadline 26 to answer or other respond to Plaintiffs’ complaint to September 12, 2011 and to respond to 27 Plaintiffs’ first amended complaint to October 3, 2011. Plaintiffs and Defendants stipulate that 28 Litton and MTGLQ shall have until on or before October 17, 2011 in which to file a responsive 15303/0214/948620.1 STIPULATION EXTENDING DEADLINE Case No.: 5:11-CV11- 03192 EJD 1 pleading to Plaintiffs’ first amended complaint. This extension does not affect any other deadline 2 set by this Court. 3 IT IS SO STIPULATED. 4 5 DATED: September 6, 2011 BASKIN & GRANT 6 By: /s/ 7 8 Nathan C. Benjamin Nathan C. Benjamin Attorneys for Plaintiffs LARRY BUSCH and KAREN BUSCH 9 10 11 DATED: September 6, 2011 SEVERSON & WERSON A Professional Corporation 12 13 By: /s/ Thomas N. Abbott Thomas N. Abbott 14 Attorneys for Defendants LITTON LOAN SERVICING LP and MTGLQ INVESTORS, LP 15 16 17 18 19 20 21 22 Attestation Pursuant to General Order 45 I, Thomas N. Abbott, attest that concurrence in the filing of this document has been obtained from each of signatories. I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed on September 6, 2011, at San Francisco, California. 23 24 /s/ Thomas N. Abbott Thomas N. Abbott 25 26 27 28 15303/0214/948620.1 -2STIPULATION RE: RESPONSE TO FIRST AMENDED COMPLAINT Case No.: 5:11-CV11093192 EJD

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