Bondi v. Nationstar Mortgage Holdings, Inc. et al
Filing
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ORDER Granting 39 Stipulation to Take Deposition. Signed by Magistrate Judge George Foley, Jr on 1/6/16. (Copies have been distributed pursuant to the NEF - TR)
Case 2:14-cv-01215-LDG-GWF Document 39 Filed 01/05/16 Page 1 of 2
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REBECCA A. FULLER, ESQ.
Nevada Bar No. 9809
Fuller Law Practice, PC
500 N Rainbow Blvd., Suite 300
Las Vegas, Nevada 89107
PH (702) 553-3266
FX (702) 553-3267
info@fullerlawpractice.com
Attorneys for Plaintiff
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IN THE UNITED STATES DISTRICT COURT
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)
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Plaintiff,
)
)
v.
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) Case No.: 2:14-cv-001215-LDG-GWF
NATIONSTAR MORTGAGE, LLC, a limited )
liability company; BANK OF AMERICA,
)
N.A.; DOES I-X, inclusive; and ROE
) STIPULATION TO TAKE DEPOSITION
CORPORATIONS I-X, inclusive,
)
)
Defendants.
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)
The parties to this action, by and through their respective attorneys of record, stipulate
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and agree as follows:
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500 N. Rainbow Blvd., Suite 300
Las Vegas, Nevada 89107
PH (702) 553-3266 FX (702) 553-3267
DISTRICT OF NEVADA
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MICHAEL BONDI,
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1. Defendant Bank of America, N.A., has noticed the deposition of Plaintiff in this action
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for January 6, 2016; however, Plaintiff’s counsel is unavailable on the noticed date and the
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parties are in the process of determining a mutually convenient date for said deposition.
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2. The parties disagree as to whether there is an applicable discovery deadline in place.
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Plaintiff contends that there is currently no applicable discovery plan, as the prior complaint was
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dismissed as to both previous Defendants and no discovery plan has been completed since the
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filing of a response of the current Defendants to this action. Plaintiff further contends that, even
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if the prior discovery plan is applicable, the deadlines should be extended. Defendants contend
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that the previous discovery plan is applicable, with a discovery cut off date of January 11, 2016.
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Plaintiff is in the process of drafting a Motion to resolve this issue.
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Case 2:14-cv-01215-LDG-GWF Document 39 Filed 01/05/16 Page 2 of 2
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3. In the meantime, the parties stipulate and agree that Plaintiff’s deposition may be
moved from January 6, 2016, to January 26, 2016, to accommodate Plaintiff’s schedule.
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IT IS SO STIPULATED.
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Dated this 5th day of January, 2016.
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500 N. Rainbow Blvd., Suite 300
Las Vegas, Nevada 89107
PH (702) 553-3266 FX (702) 553-3267
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FULLER LAW PRACTICE, PC
AKERMAN, LLP
/s/ Rebecca A. Fuller, Esq.
Rebecca A. Fuller, Esq.
Nevada Bar No. 9809
500 N. Rainbow Blvd., Suite 300
Las Vegas, Nevada 89107
PH (702) 553-3266 FX (702) 553-3267
rfuller@fullerlawpractice.com
Attorney for Plaintiff
/s/ Darren Brenner, Esq.
Darren Brenner, Esq.
Nevada Bar No. 8386
1160 Town Center Dr., Suite 330
Las Vegas, NV 89144
PH (702) 634-5000 FX (702) 380-8572
darren.brenner@akerman.com
Attorney for Defendants
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ORDER
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Having reviewed the foregoing stipulation of the parties, and finding good cause therefor,
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IT IS HEREBY ORDERED that Plaintiff’s deposition may be taken on January 26,
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2016.
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IT IS SO ORDERED.
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6th
Dated this ____ day of January, 2016.
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____________________________________
_______________________________
DISTRICT COURT JUDGE
GEORGE FOLEY, JR.
United States Magistrate Judge
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