Bondi v. Nationstar Mortgage Holdings, Inc. et al

Filing 42

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)

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Case 2:14-cv-01215-LDG-GWF Document 39 Filed 01/05/16 Page 1 of 2 1 2 3 4 5 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 6 IN THE UNITED STATES DISTRICT COURT 7 8 15 ) ) Plaintiff, ) ) v. ) ) 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. ) ) The parties to this action, by and through their respective attorneys of record, stipulate 16 and agree as follows: 9 10 500 N. Rainbow Blvd., Suite 300 Las Vegas, Nevada 89107 PH (702) 553-3266 FX (702) 553-3267 DISTRICT OF NEVADA 11 12 13 14 MICHAEL BONDI, 17 1. Defendant Bank of America, N.A., has noticed the deposition of Plaintiff in this action 18 for January 6, 2016; however, Plaintiff’s counsel is unavailable on the noticed date and the 19 parties are in the process of determining a mutually convenient date for said deposition. 20 2. The parties disagree as to whether there is an applicable discovery deadline in place. 21 Plaintiff contends that there is currently no applicable discovery plan, as the prior complaint was 22 dismissed as to both previous Defendants and no discovery plan has been completed since the 23 filing of a response of the current Defendants to this action. Plaintiff further contends that, even 24 if the prior discovery plan is applicable, the deadlines should be extended. Defendants contend 25 that the previous discovery plan is applicable, with a discovery cut off date of January 11, 2016. 26 Plaintiff is in the process of drafting a Motion to resolve this issue. 27 /// 28 /// 1 Case 2:14-cv-01215-LDG-GWF Document 39 Filed 01/05/16 Page 2 of 2 1 2 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. 3 IT IS SO STIPULATED. 4 Dated this 5th day of January, 2016. 5 6 7 8 9 500 N. Rainbow Blvd., Suite 300 Las Vegas, Nevada 89107 PH (702) 553-3266 FX (702) 553-3267 10 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 11 12 ORDER 13 Having reviewed the foregoing stipulation of the parties, and finding good cause therefor, 14 IT IS HEREBY ORDERED that Plaintiff’s deposition may be taken on January 26, 15 2016. 16 IT IS SO ORDERED. 17 6th Dated this ____ day of January, 2016. 18 19 ____________________________________ _______________________________ DISTRICT COURT JUDGE GEORGE FOLEY, JR. United States Magistrate Judge 20 21 22 23 24 25 26 27 28 2

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