U.S. Bank National Association as Legal Title Trustee for Truman 2016 SC6 Title Trust v. Fidelity National Title Group, Inc. et al

Filing 82

ORDER Granting 80 Stipulation for Extension of Time re 78 Motion to Dismiss. Responses due by 4/9/2024. Signed by Judge Gloria M. Navarro on 3/26/2024. (Copies have been distributed pursuant to the NEF - RJDG)

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1 2 3 4 5 6 7 8 9 WRIGHT, FINLAY & ZAK, LLP Darren T. Brenner, Esq. (NBN 8386) Christina V. Miller, Esq. (NBN 12448) Lindsay D. Dragon, Esq. (NBN 13474) Yanxiong Li, Esq. (NBN 12807) 7785 W. Sahara Ave., Suite 200 Las Vegas, NV 89117 (702) 475-7964; Fax: (702) 946-1345 dbrenner@wrightlegal.net cmiller@wrightlegal.net ldragon@wrightlegal.net yli@wrightlegal.net Attorneys for Plaintiff, U.S. Bank National Association as Legal Title Trustee for Truman 2016 SC6 Title Trust UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 10 11 12 13 U.S. BANK NATIONAL ASSOCIATION AS LEGAL TITLE TRUSTEE FOR TRUMAN 2016 SC6 TITLE TRUST, Plaintiff, 14 vs. 15 16 17 18 Case No.: 2:21-cv-01454-GMN-NJK STIPULATION TO EXTEND TIME TO RESPOND TO MOTION TO DISMISS [ECF NO. 78] FIDELITY NATIONAL TITLE GROUP, INC.; (First Request) FIDELITY NATIONAL TITLE INSURANCE COMPANY; DOE INDIVIDUALS I through X; and ROE CORPORATIONS XI through XX, inclusive, 19 Defendants. 20 21 COMES NOW, Plaintiff, U.S. Bank National Association as Legal Title Trustee for 22 Truman 2016 SC6 Title Trust (“US Bank”) and Defendants, Fidelity National Title Group, Inc. 23 and Fidelity National Title Insurance Company (“Defendants”, collectively, the “Parties”), by and 24 25 26 27 through their respective undersigned counsels, stipulate and agree as follows: 1. On March 12, 2024, Defendants filed their Motion to Dismiss [ECF Nos. 78]; 2. US Bank’s deadline to respond to Defendants’ Motion to Dismiss is currently March 26, 2024; 28 Page 1 of 2 1 3. This is one of five cases pending before this Court in which similar Motions to Dismiss 2 have been filed and with the same deadline for a response1. Good cause exists for a 3 brief extension as counsel for US Bank reasonably requires additional time to 4 diligently prepare responses given the numerous Motions to Dismiss due at the same 5 time. US Bank requests a two-week extension up to and including April 9, 2024 to file 6 its response to Defendants’ Motion to Dismiss; 7 4. Counsel for Defendants does not oppose the requested extension; 8 5. This is the first request for an extension and is made in good faith and not for purposes 9 of undue delay or prejudice. 10 IT IS SO STIPULATED. 11 12 DATED this 25th day of March, 2024. DATED this 25th day of March, 2024. WRIGHT, FINLAY & ZAK, LLP SINCLAIR BRAUN KARGHER LLP /s/ Yanxiong Li, Esq. Yanxiong Li, Esq. Nevada Bar No. 12807 7785 W. Sahara Ave., Suite 200 Las Vegas, NV 89117 Attorneys for Plaintiff, U.S. Bank National Association as Legal Title Trustee for Truman 2016 SC6 Title Trust /s/ Kevin S. Sinclair, Esq. Kevin S. Sinclair, Esq. Nevada Bar No. 12277 15260 Ventura Blvd., Ste 715 Sherman Oaks, California 91403 Attorneys for Defendants, Fidelity National Title Group, Inc. and Fidelity National Title Insurance Company 13 14 15 16 17 18 19 20 IT IS SO ORDERED. 21 March 26, 2024 DATED:___________ ______ __________________________ DISTRICT COURT JUDGE 22 23 24 25 26 27 28 1 The other four cases being Wells Fargo Bank, N.A. v. Commonwealth Land Title Insurance Company, Case No. 2:19-cv-00803-GMN-EJY; U.S. Bank, National Association v. Fidelity National Title Insurance Company, Case No. 2:19-cv-00809-GMN-BNW; Deutsche Bank National Trust Company v. Fidelity National Title Group, Inc., et al, Case No. 2:20-cv-01886GMN-BNW; Wilmington Trust, National Association v. Commonwealth Land Title Insurance Company, Case No. 2:18-cv-02023-GMN-BNW. Page 2 of 2

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