Nationstar Mortgage LLC dba Mr. Cooper v. Stonefield Homeowners Association et al

Filing 23

ORDER granting ECF No. 22 Stipulation to Extend Time for Defendant Coffman to file reply to ECF No. 13 Motion to Dismiss. Reply due by 2/21/2018. Signed by Judge Miranda M. Du on 2/8/2018. (Copies have been distributed pursuant to the NEF - KW)

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1 2 3 4 5 TORY M. PANKOPF (SBN 7477) TORY M. PANKOPF, LTD. 3500 Lakeside Court, Suite 211 Reno, Nevada 89509 Telephone: (775) 384-6956 Facsimile: (775) 384-6958 Attorney for Defendant, RODNEY COFFMAN 6 7 8 9 UNITED STATES DISTRICT COURT 10 DISRICT OF NEVADA 11 12 13 14 15 16 17 NATIONSTAR MORTGAGE, LLC, dba MR. COOPER CASE NO: 3:17-cv-00627-MMD-WGC Plaintiff, STIPULATION AND ORDER TO EXTEND TIME FOR DEFENDANT RODNEY COFFMAN, TO FILE REPLY STONEFIELD HOMEOWNERS ASSOCIATION and RODNEY COFFMAN, TO PLAINTIFF’S OPPOSITION TO MOTION TO DISMISS COMPLAINT, ALTERNATIVELY, SUMMARY Defendants. JUDGMENT v. 18 (FIRST REQUEST) 19 20 21 22 23 24 25 Defendant, RODNEY COFFMAN (“Defendant” or “Coffman”) by and through his attorney, Tory M. Pankopf, of the Law Offices of Tory M. Pankopf, Ltd., and Plaintiff, NATIONSTAR MORTGAGE, LLC (“Plaintiff” or “Nationstar”), stipulate to an extension of Coffman’s time to respond to Nationstar’s opposition to his motion to dismiss the complaint or alternatively, summary judgment [ECF No. 21]. 26 27 28 Law Offices of Tory M. Pankopf, Ltd. 3500 Lakeside Court Suite 211 Reno, Nevada 89509 (775) 384-6956 -1STIPULATOIN AND ORDER TO EXTEND TIME 1 RECITALS 2 3 1. on December 20, 2017 [ECF No. 13]; 4 5 2. Pursuant to two orders on the parties’ stipulations to extend time, Nationstar's response was filed on January 31, 2017 [ECF 17 and 20]; 3. 6 7 Coffman filed its motion to dismiss complaint, alternatively, summary judgment Coffman’s reply is due today, February 7, 2018. The undersigned counsel of record for Coffman is, unexpectedly, moving his law office this week; 4. 8 Counsel for Coffman requests the extension to allow time to move his law office 9 and have a meaningful review of Nationstar’s opposition to his motion, provide adequate time to 10 draft a response, and allow sufficient time for client review and approval of the response before 11 filing; 12 13 14 15 16 17 18 19 5. Accordingly, counsel for Coffman requests a brief extension through February 21, 2018, in which to file his reply; 6. This is 's first request for an extension of time to file a response to Coffman's motion; 7. This stipulation is made in good faith and not for purposes of delaying the ultimate resolution of this case, and the parties will not be prejudiced by this request for extension of time. DATED this 7th day of January, 2018. 20 AKERMAN LLP TORY M. PANKOPF, LTD. 21 /s/ MELANIE D. MORGAN, ESQ. Nevada Bar No. 8215 DONNA WITTIG, ESQ. Nevada Bar No. 11015 1635 Village Center Circle, Suite 200 Las Vegas, Nevada 89134 /s/ TORY M. PANKOPF, ESQ. Nevada Bar No. 7477 3500 Lakeside Court, Suite 211. Reno, Nevada 89509 22 23 24 25 26 27 28 Law Offices of Tory M. Pankopf, Ltd. 3500 Lakeside Court Suite 211 Reno, Nevada 89509 (775) 384-6956 Attorneys for Plaintiff The Bank of New York Mellon f/k/a The Bank of New York February 8, 2018 Dated: _________________ Attorneys for Defendant Rodney Coffman IT IS SO ORDERED. ______________________ U.S. District Judge -2STIPULATOIN AND ORDER TO EXTEND TIME 1 2 3 4 5 TORY M. PANKOPF (SBN 7477) TORY M. PANKOPF, LTD. 3500 Lakeside Court, Suite 211 Reno, Nevada 89509 Telephone: (775) 384-6956 Facsimile: (775) 384-6958 Attorney for Defendant, RODNEY COFFMAN 6 7 8 UNITED STATES DISTRICT COURT 9 DISRICT OF NEVADA 10 11 NATIONSTAR MORTGAGE, LLC, dba MR. COOPER 12 13 CASE NO: 3:17-cv-00627-MMD-WGC Plaintiff, v. 14 DECLARATION OF TORY M. STONEFIELD HOMEOWNERS PANKOPF IN SUPPORT OF TARDY ASSOCIATION and RODNEY COFFMAN, FILING OF EXTENSION 15 16 Defendants. 17 18 19 20 21 22 23 24 25 26 27 I, TORY M. PANKOPF, declare and state: 1. I am the attorney of record for the Plaintiff in the above entitled action. If called as a witness, I could competently testify as to all of the matters contained herein. All of the facts set forth in this declaration are based on my own personal knowledge. 2. I obtained consent to the extension from plaintiff’s counsel yesterday morning. However, my internet access to my office was shut down by the manager of the office I was subletting and refused to turn it on. I was set to pack-up my office and move this weekend. But, as a consequence of my need to have access to the internet to practice, I had to pack-up my office that day and set-up at my new office. I did not have my computer up and running until about 11:30 pm last night. At which time I sent counsel the stipulation and order for her review. She emailed 28 Law Offices of Tory M. Pankopf, Ltd 9450 Double R Boulevard Suite B Reno, Nevada 89521 (775) 384-6956 -1DECLARATION OF TORY M. PANKOPF 1 me her authorization this morning at about 6:30 am and I saw it about 7:00. Thereafter, I filed the 2 stipulation. 3 4 I declare, under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. 5 6 DATED: This 8th day of February, 2018. TORY M. PANKOPF LTD 7 8 9 10 By: /S/ TORY M. PANKOPF_____________ TORY M. PANKOPF, ESQ. 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Law Offices of Tory M. Pankopf, Ltd 9450 Double R Boulevard Suite B Reno, Nevada 89521 (775) 384-6956 -2DECLARATION OF TORY M. PANKOPF

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