Ditech Financal LLC et al v. Lockmor Holdings, LLC

Filing 30

ORDER Granting 29 Stipulation for Extension of Time (Third Request) re 15 MOTION for Summary Judgment and 27 First MOTION for Attorney Fees. Replies to 15 Motion due by 11/6/2017. Responses to 27 Motion due by 11/6/2017. Replies to 27 Motion due by 11/20/2017. Signed by Judge Jennifer A. Dorsey on 10/24/2017. (Copies have been distributed pursuant to the NEF - SLD)

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Case 2:17-cv-01829-JAD-PAL Document 29 Filed 10/24/17 Page 1 of 4 1 2 3 4 COLT B. DODRILL, ESQ. Nevada Bar No. 9000 WOLFE & WYMAN LLP 6757 Spencer St. Las Vegas, NV 89119 Tel: (702) 476-0100 Fax: (702) 476-0101 cbdodrill@wolfewyman.com 5 6 7 Attorneys for Plaintiffs DITECH FINANCIAL LLC and FEDERAL NATIONAL MORTGAGE ASSOCIATION 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 11 12 DITECH FINANCIAL LLC; FEDERAL NATIONAL MORTGAGE ASSOCIATION, a government-sponsored entity, 15 16 17 STIPULATION AND ORDER TO EXTEND TIME TO RESPOND TO MOTIONS Plaintiffs, 13 14 CASE NO.: 2:17-cv-01829-JAD-PAL (THIRD REQUEST)1 v. LOCKMOR HOLDINGS, LLC.; DOES 1 through 10, inclusive; ROES Business Entities 1 through 10, inclusive; and all others who claim interest in the subject property located at 520 Arrowhead Trail, #1122, Henderson, NV 89015 . Defendants. 18 19 Pursuant to LR 6-1(b), DITECH FINANCIAL LLC (formerly known as Green Tree 20 21 Servicing LLC (hereinafter “Ditech”), FEDERAL NATIONAL MORTGAGE ASSOCIATION 22 (hereinafter “Fannie Mae”) and Lockmor Holdings, LLC (hereinafter “Lockmor”) by and through 23 their attorneys, hereby stipulate as follows: 24 WHEREAS, on September 1, 2017, Ditech moved for summary judgment. ECF No. 15. 25 WHEREAS, on October 13, 2017, Lockmor filed its response to the Motion for Summary 26 27 28 This is the first request for an extension to respond to Lockmor’s Countermotion for Attorney’s Fees. In the interest of judicial economy it is included with this third request for an extension to file Reply Points and Authorities in support of Ditech’s Motion for Summary Judgment. 1 1 2876122.1 Case 2:17-cv-01829-JAD-PAL Document 29 Filed 10/24/17 Page 2 of 4 1 Judgment. ECF No. 26. WHEREAS, on October 13, 2017, Lockmor also filed its Countermotion for Attorney’s Fees. 2 3 ECF No. 27. WHEREAS, Ditech’s Reply in support of Motion for Summary Judgment is due November 4 5 3, 2017. ECF No. 25. WHEREAS, Lockmor’s Reply to file its Reply in support of Countermotion for Attorney’s 6 7 Fees is due November 10, 2017. 8 WHEREAS the parties wish to extend the deadlines. 9 WHEREAS good cause exists to extend the response deadlines based on the volume of cases 10 raising similar issues handled by counsel for Ditech and Fannie Mae, and the unexpected 11 Countermotion for Attorney’s Fees. An extension for Ditech and Fannie Mae to respond to 12 Defendant’s Countermotion for Attorney’s Fees will allow Ditech and Fannie Mae the opportunity 13 to address these new arguments. An extension for Lockmor to file its Reply in support of its 14 Countermotion for Attorney’s Fees is appropriate as counsel is in the process of catching up 15 following a family emergency. 16 Therefore, the parties stipulate and agree as follows: 17 THAT Ditech Mae shall be granted a three-day extension to November 6, 2017 to file its 18 Reply in support of Motion for Summary Judgment. ECF No. 15. 19 20 THAT Ditech shall be granted an extension to November 6, 2017 to file its Response in Opposition to Countermotion for Attorney’s Fees. ECF No. 27. 21 THAT Lockmor shall be granted an extension to November 20, 2017 to file its Reply in 22 support of Countermotion for Attorney’s Fees. ECF No. 27. 23 /// 24 /// 25 /// 26 /// 27 /// 28 /// 2 2876122.1 Case 2:17-cv-01829-JAD-PAL Document 29 Filed 10/24/17 Page 3 of 4 1 THAT this stipulated extension is not submitted for any improper purpose or delay. 2 IT IS SO STIPULATED. 3 DATED: October 24, 2017 WOLFE & WYMAN LLP 4 By: /s/ Colt B. Dodrill COLT B. DODRILL, ESQ. Nevada Bar No. 9000 6757 Spencer St. Las Vegas, NV 89119 5 6 7 Attorneys for Plaintiffs DITECH FINANCIAL LLC and FEDERAL NATIONAL MORTGAGE ASSOCIATION 8 9 10 11 DATED: October 24, 2017 MCCOY LAW GROUP, Ltd. 12 13 By: /s/ Brandon McCoy 14 BRANDON MCCOY, ESQ. Nevada Bar No. 10402 625 S. 8th St., 2nd Floor Las Vegas, NV 89101 15 16 Attorneys for Defendant LOCKMOR HOLDINGS, LLC 17 18 19 IT IS SO ORDERED. 20 21 22 DATED: ___________________________ 23 __________________________________ UNITED STATES DISTRICT JUDGE Dated: October 24, 2017. 24 25 __________________________________________ 26 UNITED STATES DISTRICT JUDGE 27 28 3 2876122.1

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