Park 1 at Summerlingate Homeowners' Association v. Federal National Mortgage Association et al

Filing 30

ORDER Granting 29 Stipulation to Further Extend Briefing Schedule re 22 MOTION for Summary Judgment and 28 Counter MOTION for Summary Judgment . See Order for deadlines. Signed by Judge Richard F. Boulware, II on 3/9/17. (Copies have been distributed pursuant to the NEF - ADR)

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1 2 3 4 LAUREL I. HANDLEY (NV Bar # 009576) JORY C. GARABEDIAN (NV Bar # 10352) Aldridge | Pite, LLP 520 South 4th Street, Suite 360 Las Vegas, NV 89101 Telephone (702) 991-4636 Facsimile (702) 685-6342 E-Mail: 5 6 Attorneys for Defendant FEDERAL NATIONAL MORTGAGE ASSOCIATION. 7 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 11 PARK 1 AT SUMMERLINGATE HOMEOWNERS ASSOCIATION, a domestic non-profit corporation, Plaintiff, 12 13 14 15 16 17 18 19 v. GILBERT IRELAND-ASHLEY, an individual; LAURIE IRELAND-ASHLEY, an individual; FEDERAL NATIONAL MORTGAGE ASSOCIATION, a federally sponsered entity, AURORA LOAN SERVICES, LLC, a foreign limited liability company; DOE INDIVIDUALS I through X, inclusive; and ROE CORPORATIONS I through X, inclusive, Case No. 2:16-CV-00602-RFB-CWH STIPULATION AND ORDER TO FURTHER EXTEND BRIEFING SCHEDULE FOR MOTION FOR SUMMARY JUDGMENT (Second Request) Defendants. 20 21 Plaintiff, PARK 1 AT SUMMERLINGATE HOMEOWNERS ASSOCIATION 22 (“Plaintiff”), and Defendant, FEDERAL NATIONAL MORTGAGE ASSOCIATION (“Fannie 23 Mae”), by and through their undersigned counsel, hereby stipulate and agree as follows: 24 1. On January 31, 2017, filed filed a Motion for Summary Judgment [ECF No. 22]; 25 2. On February 28, 2017, this Court, through the first stipulation of the parties, set a 26 response deadline for March 1, 2017 and a reply deadline for March 22, 2017 [ECF 27 No. 25]; 28 -1- 1 2 3 4 3. Plaintiff filed its Response/Opposition to the Motion for Summary Judgment on March 6, 2017 [ECF No. 26]; 4. Plaintiff’s Response/Opposition to the Motion for Summary Judgment included a Counter-Motion for Summary Judgment [ECF No. 28]; 5 5. The parties through this Stipulation wish to afford each other with adequate time to 6 brief the issues in the pending motion or counter-motion so the Court is able to make 7 an informed determination on the merits; 8 9 10 11 6. The parties further wish to provide the Court and the record with a clear briefing schedule; 7. Therefore, the parties agree to allow the late filing of Plaintiff’s Response/Opposition to the Motion for Summary Judgment [ECF No. 26]; 12 8. The parties further agree to extend the deadline for Fannie Mae’s Reply to its Motion 13 for Summary Judgment and its Response/Opposition to Plaintiff’s Counter-Motion 14 for Summary Judgment to March 27, 2017. 15 16 9. The parties further agree that Plaintiff may file its Reply to Plaintiff’s CounterMotion for Summary Judgment on or before April 10, 2017. 17 10. This Stipulation is made in good faith and not for the purpose of delay. 18 Dated this 8th day of March, 2017. 19 ALDRIDGE PITE, LLP HOA LAWYERS GROUP, LLC 20 /s/ Jory C. Garabedian /s/ Steven T, Loizzi LAUREL I. HANDLEY JORY C. GARABEDIAN Attorneys for Defendant FEDERAL NATIONAL MORTGAGE ASSOCIATION STEVEN T. LOIZZI, JR Attorney for Plaintiff PARK 1 AT SUMMERLINEGATE HOA 21 22 23 24 IT IS SO ORDERED. 25 26 27 U.S DISTRICT COURT JUDGE DATED this 9th day of March, 2017. 28 -2-

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