Alias v. Wells Fargo Bank, N.A. et al

Filing 13

ORDER GRANTING re 6 Stipulation to Extend Time for Defendant Wells Fargo to Response to Initial Response filed by Wells Fargo Financial National Bank, Wells Fargo Bank, N.A. The deadline for Defendant to respond to the Complaint shall be continued to August 21, 2015. Signed by Judge Edward J. Davila on 7/15/2015. (ecg, COURT STAFF) (Filed on 7/15/2015)

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LI H A RT 22 FO NO R NIA S UNIT ED RT U O 1 MARK D. LONERGAN (State Bar No. 143622) mdl@severson.com 2 ALISA A. GIVENTAL (State Bar No. 273551) aag@severson.com 3 SEVERSON & WERSON A Professional Corporation 4 One Embarcadero Center, Suite 2600 San Francisco, California 94111 5 Telephone: (415) 398-3344 Facsimile: (415) 956-0439 S DISTRICT TE 6 C TA ERIC J. TROUTMAN (State Bar No. 229263) 7 ejt@severson.com SEVERSON & WERSON 8 A Professional Corporation DERED SO OR The Atrium IT IS 9 19100 Von Karman Avenue, Suite 700 Irvine, California 92612 10 Telephone: (949) 442-7110 vila rd J . D a Facsimile: (949) 442-7118 e E d wa Judg 11 Attorneys for Defendant E R DATED: 7/15/2015 C 12 WELLS FARGO BANK, N.A. (sued as “Wells N F Fargo Financial National Bank”) D IS T IC T O 13 R UNITED STATES DISTRICT COURT 14 NORTHERN DISTRICT OF CALIFORNIA — SAN JOSE DIVISION 15 SABRENA ALIAS Case No. 15-cv-03057-EJD 16 Plaintiff, STIPULATION TO EXTEND TIME FOR 17 v. DEFENDANT TO RESPOND TO INITIAL COMPLAINT 18 Experian Information Solutions, Inc.; Equifax, Inc.; TransUnion, LLC; GMAC Mortgage, 19 LLC; County Financial Services Barclay’s Bank Delaware; Schools Financial Credit 20 Union; Wells Fargo Financial National Bank; Asset Acceptance, LLC and DOES 1 through 21 100 inclusive, Defendants. 23 24 Plaintiff SABRENA ALIAS (“Plaintiff”) and defendant WELLS FARGO BANK, N.A, 25 (sued as “Wells Fargo Financial National Bank”) (“Defendant”) hereby stipulate as follows: 26 27 RECITALS 1. Plaintiff filed this action against Defendant on May 19, 2015 and served Defendant 28 15-cv-03057-HRL STIPULATION TO EXTEND TIME FOR DEFENDANT TO RESPOND TO INITIAL COMPLAINT 07685.0000/4337701.1 1 on or about June 1, 2015. 2 2. On July 1, 2015, Defendant removed the action to this Court. 3 3. Defendant’s initial deadline to respond to the Complaint was July 8, 2015. 4 4. Plaintiff has agreed to extend the time for Defendant to respond to the Complaint 5 up to and including August 21, 2015, so that Defendant may have additional time to investigate 6 this matter and the parties may explore the possibility of settlement. 7 5. This change in deadline will not alter the date of any event or any deadline already 8 fixed by Court order, local rules, or the Federal Rules of Civil Procedure. 9 THEREFORE, the parties stipulate as follows: 10 11 STIPULATION 1. The deadline for Defendant to respond to the Complaint shall be continued to 12 August 21, 2015. 13 2. This change in deadline will not alter the date of any event or any deadline already 14 fixed by Court order, local rules, or the Federal Rules of Civil Procedure. 15 IT IS SO STIPULATED. 16 DATED: July 7, 2015 SAGARIA LAW, P.C. 17 By: /s/ Elliot W. Gale Elliot W. Gale Attorneys for Plaintiff SABRENA ALIAS 18 19 20 21 DATED: July 7, 2015 22 SEVERSON & WERSON A Professional Corporation By: /s/ Alisa A. Givental Alisa A. Givental Attorneys for Defendant WELLS FARGO BANK, N.A. 23 24 25 I, Alisa A. Givental, am the ECF user whose identification and password are being used to file this 26 Stipulation. I hereby attest that Elliot W. Gale has concurred in this filing. 27 /s/ Alisa A. Givental 28 15-cv-03057-HRL 2 STIPULATION TO EXTEND TIME FOR DEFENDANT TO RESPOND TO INITIAL COMPLAINT 07685.0000/4337701.1

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