Wells Fargo Bank, National Association v. Garner, et al
Filing
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ORDER granting ECF No. 43 Stipulation to Extend Deadline for Defendant Woodland Village Homeowners Association to File Opposition to ECF No. 42 Plaintiff's Motion for Summary Judgment. Response/Opposition due by 3/11/2019. Signed by Judge Miranda M. Du on 2/25/2019. (Copies have been distributed pursuant to the NEF - KW)
1 GAYLE A. KERN, ESQ.
Nevada Bar No. 1620
2 KAREN M. AYARBE, ESQ.
Nevada Bar No. 3358
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LEACH KERN GRUCHOW ANDERSON SONG
4 5421 Kietzke Lane, Ste. 200
Reno, Nevada 89511
5 Tel: (775) 324-5930
Fax: (775) 324-6173
6 Email: gkern@lkglawfirm.com
7 Email: kayarbe@lkglawfirm.com
Attorneys for Defendant Woodland Village Homeowners Association
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UNITED STATES DISTRICT COURT
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DISTRICT OF NEVADA
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WELLS FARGO BANK, NATIONAL
ASSOCIATION AS TRUSTEE FOR
OPTION ONE MORTGAGE LOAN TRUST
2007-2, ASSET-BACKED CERTIFICATES,
SERIES 2007-2,
Plaintiff,
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vs.
LEMMIE GARNER; SUSAN CARLILE;
WOODLAND VILLAGE HOMEOWNERS
ASSOCIATION;
Case No.: 3:17-cv-00735-MMD-WGC
STIPULATION AND ORDER TO
EXTEND
DEADLINE
FOR
DEFENDANT WOODLAND VILLAGE
HOMEOWNERS ASSOCIATION TO
FILE OPPOSITION TO PLAINTIFF’S
MOTION
FOR
SUMMARY
JUDGMENT
[First Request]
Defendants.
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IT IS HEREBY STIPULATED between Plaintiff Wells Fargo Bank, National
Association as Trustee for Option One Mortgage Loan Trust 2007-2, Asset-Backed Certificates,
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Series 2007-2 (“WFB”), by and through its counsel of record, Wright, Finlay & Zak, LLP, and
Defendant Woodland Village Homeowners Association (the “Association”) by and through its
25 counsel of record, Leach Kern Gruchow Anderson Song (and with WFB, collectively referred to
26 as the “Parties”) to extend the deadline for the Association to file its opposition WFB’s Motion
27 for Summary Judgment (“MSJ” - DE 42) up to and including March 11, 2019.
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The current deadline for response to Plaintiff’s MSJ is February 25, 2019. Undersigned
2 counsel stipulate to this two (2) week extension of time up to an including March 11, 2019 in
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order to coordinate with Association counsel’s schedule in the evaluation of the MSJ and to allow
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time for the preparation of the Association’s response/opposition.
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This is the first request for an extension and is not intended to cause any delay or prejudice
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DATED this 25th day of February, 2019.
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LEACH KERN GRUCHOW ANDERSON WRIGHT FINLAY & ZAK
SONG
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DATED this 25th day of February, 2019.
_/s/ Karen M. Ayarbe, Esq. _
KAREN M. AYARBE, ESQ.
Nevada Bar No. 3358
5421 Kietzke Lane, Ste. 200
Reno, NV 89511
Tel: (775) 324-5930
Fax: (775) 324-6173
Attorneys for Defendant
Woodland Village Homeowners Association
/s/ Edgar C. Smith, Esq.
EDGAR C. SMITH, ESQ.
Nevada Bar No. 5506
7785 W. Sahara Ave., Ste. 200
Las Vegas, NV 89117
Tel: (702) 475-7964 Ext. 7042
Fax: (702) 946-1345
Attorneys for Plaintiff
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ORDER
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IT IS SO ORDERED.
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25th
DATED this ____ day of February 2019.
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__________________________________
UNITED STATES DISTRICT JUDGE
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23 Respectfully Submitted By:
_/s/ Karen M. Ayarbe, Esq. _______
24 KAREN M. AYARBE, ESQ.
Attorneys for Defendant
25 Woodland Village Homeowners Association
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CERTIFICATE OF SERVICE
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Pursuant to the Federal Rules of Civil Procedure 5(b), I certify that on the ___day of
7 February 2019, I served via the CM/ECF electronic filing system, and in accord with Local Rule
8 IC 4-1(b) of the United States District Court for the District of Nevada, a true and correct copy of
9 the STIPULATION AND ORDER TO EXTEND DEADLINE FOR DEFENDANT
10 WOODLAND VILLAGE HOMEOWNERS ASSOCIATION TO FILE ITS RESPONSE to
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PLAINTIFF’S MOTION FOR SUMMARY JUDGMENT [First Request] to the attorneys
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associated with this case.
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RYAN J. CANN
rjc@kidderlawgroup.com
info@canniplaw.com
PATRICK JAMES DAVIS
pdavis@wrightlegal.net
NVefile@wrightlegal.net
npetty@wrightlegal.net
KRISTA NIELSON
knielson@wrightlegal.net
jcraig@wrightlegal.net
NVefile@wrightlegal.net
EDGAR C SMITH
esmith@wrightlegal.net
fharris@wrightlegal.net
NVefile@wrightlegal.net
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_________________
An Employee of Leach Kern Gruchow Anderson
Song
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