U.S. Bank National Association v. Fidelity National Title Group, Inc. et al

Filing 17

ORDER Granting 15 Stipulation for Extension of Time re 4 Motion to Dismiss and 12 Countermotion for Summary Judgment (First Request). See Order for deadlines. Signed by Judge Kent J. Dawson on 11/20/2020. (Copies have been distributed pursuant to the NEF - MR)

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Case 2:20-cv-01955-KJD-VCF Document 17 Filed 11/20/20 Page 1 of 2 1 2 3 4 5 Scott E. Gizer, Esq., Nevada Bar No. 12216 sgizer@earlysullivan.com Sophia S. Lau, Esq., Nevada Bar No. 13365 slau@earlysullivan.com EARLY SULLIVAN WRIGHT GIZER & McRAE LLP 8716 Spanish Ridge Avenue, Suite 105 Las Vegas, Nevada 89148 Telephone: (702) 331-7593 Facsimile: (702) 331-1652 6 7 8 9 Kevin S. Sinclair, State Bar Number 12277 ksinclair@sinclairbraun.com SINCLAIR BRAUN LLP 16501 Ventura Blvd, Suite 400 Encino, California 91436 Telephone: (213) 429-6100 Facsimile: (213) 429-6101 10 11 12 Attorneys for Defendant FIDELITY NATIONAL TITLE INSURANCE COMPANY DESIGNATED LOCAL COUNSEL FOR SERVICE OF PROCESS ON SINCLAIR BRAUN LLP PER L.R. IA 11-1(b) 13 14 Gary L. Compton, State Bar No. 1652 2950 E. Flamingo Road, Suite L Las Vegas, Nevada 89121 15 UNITED STATES DISTRICT COURT 16 DISTRICT OF NEVADA 17 US BANK NATIONAL ASSOCIATION, 18 Plaintiff, 19 vs. 20 21 FIDELITY NATIONAL TITLE GROUP, INC. et al., 22 Defendants. Case No.: 2:20-CV-01955-KJD-VCF ___________________ ORDER STIPULATION AND EXTENDING TIME TO RESPOND TO OPPOSITION TO MOTION TO DISMISS AND COUNTERMOTION FOR PARTIAL SUMMARY JUDGMENT (ECF Nos. 11 & 12) (FIRST REQUEST) 23 24 COMES NOW defendant Fidelity National Title Insurance Company (“Fidelity”) and 25 plaintiff U.S. Bank National Association (“U.S. Bank”), by and through their respective attorneys 26 of record, which hereby agree and stipulate as follows: 27 1. On October 30, 2020, Fidelity filed its motion to dismiss (ECF No. 4); 28 2. On November 12, 2020, U.S. Bank filed its opposition to motion to dismiss and 1 STIPULATION AND ORDER Case 2:20-cv-01955-KJD-VCF Document 17 Filed 11/20/20 Page 2 of 2 1 2 3 4 countermotion for partial summary judgment (ECF Nos. 11 & 12.); 3. Fidelity’s deadline to respond to respond to the opposition to motion to dismiss and countermotion for partial summary judgment is currently November 19, 2020; 4. Fidelity requests a brief extension of time to respond to U.S. Bank’s motion, up to 5 and including December 3, 2020, to afford Fidelity additional time to respond to the legal 6 arguments set forth in U.S. Bank’s motions; 7 5. U.S. Bank does not oppose the requested extension; 8 6. This is the first request for an extension which is made in good faith and not for 9 10 purposes of delay; IT IS SO STIPULATED that Fidelity’s deadline to respond to U.S. Bank’s opposition to 11 motion to dismiss and countermotion for partial summary judgment (ECF Nos. 11 & 12) is hereby 12 extended through and including December 3, 2020. 13 14 Dated: November 17, 2020 SINCLAIR BRAUN LLP 15 16 By: 17 18 19 Dated: November 17, 2020 /s/-Kevin S. Sinclair KEVIN S. SINCLAIR Attorneys for Defendant FIDELITY NATIONAL TITLE INSURANCE COMPANY WRIGHT FINLAY & ZAK, LLP 20 21 By: 22 23 24 25 26 27 /s/-Darren T. Brenner DARREN T. BRENNER Attorneys for Plaintiff U.S. BANK NATIONAL ASSOCIATION IT IS SO ORDERED. Dated this _____ day of _____________, 2020. 20th November _______________________________________ KENT J. DAWSON UNITED STATES DISTRICT JUDGE 28 2 STIPULATION AND ORDER

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