The Bank of New York Mellon v. Poshbaby LLC Series 3511 Desert Cliff #201, et al.,
Filing
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ORDER Granting 23 Stipulation for Extension of Time re 11 MOTION to Lift Stay. Bank of New York Mellon's Replies due by 3/14/2017. Signed by Judge Andrew P. Gordon on 2/27/2017. (Copies have been distributed pursuant to the NEF - SLD)
Case 2:16-cv-02719-APG-NJK Document 23 Filed 02/24/17 Page 1 of 2
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Abran E. Vigil
Nevada Bar No. 7548
Sylvia O. Semper
Nevada Bar No. 12863
BALLARD SPAHR LLP
100 North City Parkway, Suite 1750
Las Vegas, Nevada 89106
Telephone: (702) 471-7000
Facsimile: (702) 471-7070
vigila@ballardspahr.com
sempers@ballardspahr.com
Attorneys for Plaintiff The Bank of
New York Mellon, f/k/a the Bank of
8 New York, as Trustee, on behalf of
the registered holders of Alternative
9 Loan Trust 2006-OA7, Mortgage
Pass-Through Certificates, Series
10 2006-OA7
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UNITED STATES DISTRICT COURT
(702) 471-7000 FAX (702) 471-7070
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LAS VEGAS, NEVADA 89106
BALLARD SPAHR LLP
100 NORTH CITY PARKWAY, SUITE 1750
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DISTRICT OF NEVADA
THE BANK OF NEW YORK MELLON,
f/k/a THE BANK OF NEW YORK, AS
TRUSTEE, ON BEHALF OF THE
REGISTERED SHAREHOLDERS OF
ALTERNATIVE LOAN TRUST 2006-OA7,
MORTGAGE PASS-THROUGH
CERTIFICATES, SERIES OA7
Plaintiff,
vs.
POSHBABY LLC SERIES 3511 DESERT
CLIFF #201, a Nevada limited liability
company; CLIFF SHADOWS
HOMEOWNERS’ ASSOCIATION, a
Nevada non-profit corporation
Case No. 2:16-cv-02719-APG-NJK
STIPULATION AND ORDER TO
EXTEND DEADLINE TO FILE
REPLY TO DEFENDANT CLIFF
SHADOWS HOMEOWNERS’
ASSOCIATION’S RESPONSE TO
BANK OF NEW YORK MELLON’S
MOTION TO LIFT STAY [ECF NO.
20]
[FIRST REQUEST]
Defendants.
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IT IS HEREBY STIPULATED AND AGREED, by and between the parties,
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Plaintiff The Bank of New York Mellon, f/k/a the Bank of New York, as Trustee, on
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behalf of the registered holders of Alternative Loan Trust 2006-OA7, Mortgage Pass-
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Through Certificates, Series 2006-OA7 (“BNYM”), by and through its counsel of
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record, Ballard Spahr LLP, and Defendant Cliff Shadows Homeowners’ Association
DMWEST #16185622 v1
Case 2:16-cv-02719-APG-NJK Document 23 Filed 02/24/17 Page 2 of 2
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(“Cliff Shadows”), by and through its attorneys of record, Boyack, Orme & Anthony,
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the deadline for BNYM to file a reply to Defendant Cliff Shadows’ Response to
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BNYM’s Motion to Lift Stay [ECF No. 20] filed on February 21, 2017, shall be
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continued until March 14, 2017.
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The requested extension is necessary because BNYM and defendant Poshbaby
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LLC Series 3511 Desert Cliff #201 (“Poshbaby”) have entered a stipulation to extend
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the deadline for Poshbaby to file its opposition to the Motion to Lift the Stay. Out of
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efficiency, The Bank of New York Mellon wishes to respond to both Cliff Shadows and
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Poshbaby in a single reply. This is the parties’ first request for an extension and is
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Dated: this 24th day of February, 2017.
(702) 471-7000 FAX (702) 471-7070
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LAS VEGAS, NEVADA 89106
BALLARD SPAHR LLP
100 NORTH CITY PARKWAY, SUITE 1750
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not intended to cause delay or prejudice to any party.
BALLARD SPAHR LLP
BOYACK ORME & ANTHONY
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By: /s/ Sylvia O. Semper
Abran E. Vigil
Nevada Bar No. 7548
Sylvia O. Semper
Nevada Bar No. 12863
100 North City Parkway, Suite 1750
Las Vegas, Nevada 89106
By: /s/ Kelley K. Blatnik
Kelley K. Blatnik, Of Counsel
Nevada Bar No. 12768
Edward D Boyack
Nevada Bar No. 5229
401 N. Buffalo Drive #202
Las Vegas, Nevada 89145
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Attorneys for Plaintiff Bank of New
New York Mellon, f/k/a the Bank
18 of New York, as Trustee, on behalf
of the registered holders of
19 Alternative Loan Trust 2006-OA7,
Mortgage Pass-Through Certificates,
20 Series 2006-OA7
Attorneys for Defendant Cliff Shadows
Homeowner’s Association
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ORDER
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IT IS SO ORDERED.
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___________________________________
UNITED STATES DISTRICT COURT JUDGE
DATED: 2/27/2017
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DMWEST #16185622 v1
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