Bank of New York Mellon v. Gleneagles Homeowner Association, Inc.

Filing 31

ORDER Granting 27 Stipulation re 1 Complaint. Gleneagles Homeowner Association, Inc. answer due 5/27/2016. Signed by Magistrate Judge Nancy J. Koppe on 5/18/16. (Copies have been distributed pursuant to the NEF - TR)

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Case 2:16-cv-00607-APG-NJK Document 27 Filed 05/17/16 Page 1 of 2 1 6 ROBERT S. LARSEN, ESQ. Nevada Bar No. 7785 PHIL W. SU, ESQ. Nevada Bar No. 10450 GORDON & REES LLP 3770 Howard Hughes Parkway, Suite 100 Las Vegas, Nevada 89169 Telephone: (702) 577-9300 Facsimile: (702) 255-2858 Email: rlarsen@gordonrees.com psu@gordonrees.com 7 Attorneys for Gleneagles Homeowners Association 2 3 4 5 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 Gordon & Rees LLP 3770 Howard Hughes Parkway Suite 100 Las Vegas, Nevada 89169 11 12 13 14 15 16 17 18 19 20 21 22 23 24 THE BANK OF NEW YORK MELLON fka THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATE HOLDERS OF CWABS, INC., ASSET-BACKED CERTIFICATES, SERIES 2005-3, ) ) ) ) ) ) Plaintiff, ) ) vs. ) ) GLENEAGLES HOMEOWNER ) ASSOCIATION, INC.; SFR INVESTMENTS ) POOL 1, LLC; and NEVADA ASSOCIATION ) SERVICES, INC., ) ) Defendants. ) ) 27 28 STIPULATION AND ORDER TO EXTEND TIME FOR GLENEAGLES HOMEOWNERS ASSOCIATION, INC. TO RESPOND TO COMPLAINT [Doc. 1] (First Request) Pursuant to Local Rules 6-1 and 7-1, Plaintiff THE BANK OF NEW YORK MELLON fka THE BANK OF NEW YORK, AS TRUSTEE FOR THE CERTIFICATE HOLDERS OF CWABS, INC., ASSET-BACKED CERTIFICATES, SERIES 2005-3 (“Plaintiff”), and Defendant GLENEAGLES HOMEOWNER ASSOCIATION, INC. (“Defendant”), by and through their respective attorneys of record, stipulate as follows: STIPULATION 25 26 Case No.: 2:16-cv-00607-APG-NJK 1. Plaintiff filed its Complaint on March 18, 2016, 2016 [Doc. 1]. 2. Defendant was served with process on March 21, 2016. [Doc. 8]. 3. Defendant’s response was due on or about April 11, 2016. See [Doc. 8]. -1- Case 2:16-cv-00607-APG-NJK Document 27 Filed 05/17/16 Page 2 of 2 1 4. The parties agree that Defendant should be afforded an extension of time to file its 2 response to the Complaint. This request is being made after the original deadline of April 11, 3 2016, because of excusable neglect on the part of Defendant’s counsel, who transitioned to his 4 present law firm on March 31, 2016. Shortly after he joined his new firm, he was assigned to 5 handle this matter. In the process of acclimating to his new caseload and work environment, 6 Defendant’s counsel failed to timely request an extension from Plaintiff’s counsel to file 7 Defendant’s responsive pleading in this matter. Accordingly, Plaintiff has no objection to an 8 extension, through May 27, 2016, to allow Defendant to draft its responsive pleading. 9 5. Accordingly, the parties agree that Defendant’s response to the Complaint is now Gordon & Rees LLP due on or before Friday, May 27, 2016. 11 3770 Howard Hughes Parkway Suite 100 Las Vegas, Nevada 89169 10 DATED: May 17, 2016. DATED: May 17, 2016. 12 GORDON & REES LLP AKERMAN LLP 13 /s/ Phil w. Su______ ______________ ROBERT S. LARSEN, ESQ. Nevada Bar No. 7785 PHIL W. SU, ESQ. Nevada Bar No. 10450 3770 Howard Hughes Parkway, Suite 100 Las Vegas, Nevada 89169 __/s/ Ariel E. Stern____________________ ARIEL E. STERN, ESQ. Nevada Bar No. 8276 MILES N. CLARK, ESQ. Nevada Bar No. 13848 1160 Town Center Drive, Suite 330 Las Vegas, NV 89144 Attorneys for Defendant Ventana Canyon Homeowners Association, Inc. Attorneys for Plaintiff The Bank of New York Mellon 14 15 16 17 18 19 20 21 ORDER IT IS SO ORDERED. 22 23 UNITED STATES MAGISTRATE JUDGE 24 DATED: May 18, 2016 25 26 27 28 1117942/28058271v.1 -2-

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