Alpine Vista II Homeowners Association v. Federal National Mortgage Corporation et al

Filing 68

ORDER granting ECF No. 67 Stipulation to Extend Time to file Reply in Support of ECF No. 60 Motion for Summary Judgment. Reply due by 5/29/2018. Signed by Judge Miranda M. Du on 5/9/2018. (Copies have been distributed pursuant to the NEF - KW)

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1 2 3 4 LAUREL I. HANDLEY (NV Bar # 9576) JORY C. GARABEDIAN (NV Bar # 10352) ALDRIDGE PITE, LLP 520 South 4th St., Suite 360 Las Vegas, Nevada 89101 Telephone: (858) 750-7600 Facsimile: (702) 685-6342 E-Mail: lhandley@aldridgepite.com 5 6 Attorneys for Defendant/Counterclaimant: FEDERAL NATIONAL MORTGAGE ASSOCIATION 7 8 UNITED STATES DISTRICT COURT 9 DISTRICT OF NEVADA 10 11 12 ALPINE VISTA II HOMEOWNERS ASSOCIATION, a Nevada Non-Profit Cooperative Corporation, Case No.: 3:15-cv-00549-MMD-VPC 13 Plaintiff, STIPULATION AND ORDER TO EXTEND TIME TO FILE REPLY IN SUPPORT OF FANNIE MAE’S MOTION FOR SUMMARY JUDGMENT (ECF NO. 60) 14 vs. 15 16 17 18 XIU Y. PAN; BANK OF AMERICA, N.A.; FEDERAL NATIONAL MORTGAGE ASSOCIATION; ALL THOSE CLAIMING AN INTEREST IN 859 NUTMEG PLACE #21, RENO, NV 89502, (First Request) Defendants. 19 20 21 22 FEDERAL NATIONAL MORTGAGE ASSOCIATION, 23 24 Counterclaimant, vs. 25 26 27 ALPINE VISTA II HOMEOWNERS ASSOCIATION; and KYLE KRCH, Counter-Defendants. 28 -1- 1 KYLE KRCH, Cross-Claimant, 2 3 vs. 4 ALPINE VISTA II HOMEOWNERS ASSOCIATION, 5 Cross-Defendants. 6 7 Defendant/Counterclaimant Federal National Mortgage Association (“Fannie Mae”) and 8 Counter-Defendant/Cross-Claimant Kyle Krch (“Krch” and collectively “the Parties”), by and 9 through their undersigned attorneys of record, hereby stipulate and agree as follows: 10 1. Fannie Mae filed its Motion for Summary Judgment on April 5, 2018 (ECF No. 60). 11 2. Krch filed his response/opposition on April 30, 2018. (ECF No. 66). 12 3. Fannie Mae’s reply brief is currently due May 14, 2018. 13 4. The Parties hereby stipulate and agree that Fannie Mae’s reply brief deadline shall be 14 extended to May 29, 2018. 15 5. This request and stipulation is not being made for purposes of delay or prejudice. 16 Fannie Mae currently has a high volume of briefing that is due in the month of May 17 for numerous other litigated cases and a short two-week extension will help alleviate 18 that burden and afford Fannie Mae time to complete briefing in this case. 19 DATED this 9th day of May, 2018. 20 ALDRIDGE PITE, LLP LAW OFFICES OF MARK WRAY 21 /s/ Jory C. Garabedian Jory C. Garabedian Attorneys for Defendant/Counterclaimant Federal National Mortgage Assoc. /s/ Mark Wray Mark Wray Attorney for Counter-Defendant & Cross-Claimant Kyle Krch 22 23 24 IT IS SO ORDERED: 25 U.S. DISTRICT COURT JUDGE 26 27 DATED: May 9, 2018 28 -2- ________ CERTIFICATE OF SERVICE 1 2 I, the undersigned, declare: I am, and was at the time of service of the papers herein 3 referred to, over the age of 18 years, and not a party to this action. My business address is 520 4 South Fourth Street, Suite 360, Las Vegas, Nevada 89101. 5 6 I hereby certify that I served the following document by electronic service via CM/ECF system to: 7 Gayle A. Kern, Esq. gakltd@kernltd.com 8 Karen M. Ayarbe, Esq. karenayarbe@kerltd.com 9 10 Thomas E. McGrath tmcgrath@tysonmendes.com 11 12 Joseph P. Garin, Esq. NVECF@lipsonneilson.com 13 Mark D. Wray, Esq. mwray@markwraylaw.com 14 15 Megan H. Hummel mhummel@lipsonneilson.com 16 17 18 19 20 I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed this 9th day of May, 2018, at Las Vegas, Nevada. 21 22 23 24 25 26 27 28 /s/Chelsea Miller CHELSEA MILLER Paralegal for the firm

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