Bakos v. TD Bank N.A.

Filing 56

ORDER granting ECF No. 55 Third Stipulation to Extend Deadline for Plaintiff to Respond to ECF No. 50 Motion to Dismiss. Response due by 10/31/2018. Signed by Judge Miranda M. Du on 10/15/2018. (Copies have been distributed pursuant to the NEF - KW)

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1 2 3 4 5 6 7 8 9 CHRISTOPHER P. BURKE, ESQ. Nevada Bar No.: 004093 attycburke@charter.net 702 Plumas Street Reno, Nevada 89509 (775) 333-9277 and Scott C. Borison, Esq. Legg Law Firm LLP borison@legglaw.com 1900 S. Norfolk St., Suite 350 San Mateo, CA 94403 (301) 620-1016 Attorneys for Plaintiff Sean David Bakos 10 ECF Filed on 10/15/2018 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA 11 12 13 Sean David Bakos, individually and on behalf of others similarly situated, 14 Case No.: 3:17-cv-00134-MMD-WGC Plaintiff, 15 16 17 18 v. TD Bank N.A. Defendant. THIRD STIPULATION AND [PROPOSED] ORDER TO EXTEND DEADLINE FOR THE PLAINTIFF TO RESPOND TO TD BANK N.A. MOTION TO DISMISS AMENDED COMPLAINT (DKT.#50) 19 20 COMES NOW, Plaintiff, Sean David Bakos (“Bakos”), and Defendant, TD Bank N.A.. 21 (“TD Bank”), by and through their respective counsels of record in the above-captioned 22 matter, and hereby file this Third Stipulation and agreement, pursuant to LR 7-1, as follows: 23 1. Plaintiffs Response or Opposition to Defendants Motion to Dismiss 24 Amended Complaint (Dkt.#50), was due on September 10, 2018. That was extended by 25 stipulation of the parties until September 24, 2018 (Dkt. #52). 26 2. The parties filed a second stipulation to extend Plaintiffs time to Response or 27 28 1 1 Oppose Motion to Dismiss Amended Complaint (Dkt.# 50), until October 16, 2018 (Dkt. 2 #54). 3 4 3. The Parties are entering into this third stipulation in good faith and not for purposes of delay, as they are working on settling the matter and are just reviewing the terms. 5 IT IS HEREBY STIPULATED THAT: 6 4. 7 The deadline for Bakos to oppose to Defendants Motion to Dismiss Amended Complaint, is hereby extended to October 31, 2018. 8 9 10 Dated: October 15, 2018 Dated: October 15, 2018 Christopher P. Burke, Esq. Duane Morris, LLP By: /s/ Christopher P. Burke. Esq. Christopher P. Burke, Esq. Nevada Bar No. 004093 attycburke@charter.net 702 Plumas St. Reno, Nevada 89509 (775) 333-9277 By: /s/ Tyson E. Hafen Tyson E. Hafen (SBN 13139) 100 N. City Parkway, Suite 1560 Las Vegas, NV 89106 (702) 868-2600 tehafen@duanemorris.com Attorneys for Defendant 11 12 13 14 15 16 17 18 19 20 By: /s/ Scott C. Borison, Esq. Scott C. Borison, Esq. Legg Law Firm LLP borison@legglaw.com 1900 S. Norfolk St., Suite 350 San Mateo, CA 94403 (301) 620-1016 Attorneys for Plaintiff 21 22 ORDER IT IS SO ORDERED. 23 24 US DISTRICT JUDGE 25 26 DATED: October 15, 2018 27 28 2

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