Filed: Apr. 02, 2019
Latest Update: Apr. 02, 2019
Summary: JOINT STIPULATION FOR EXTENSION OF TIME FOR DEFENDANT TO RESPOND TO PLAINTIFF'S MOTION TO DISMISS COUNTERCLAIM RICHARD F. BOULWARE, II , District Judge . Pursuant to Local Civil rule 6-1(a), Defendant/Counter-Claimant Bank of America, N.A. ("BANA"), by and through its attorneys of record, and Plaintiff/Counter-Defendant NV West Servicing, LLC Trustee of Copper Pine Trust # 12 ("NV West"), by and through its attorneys of record, hereby stipulate to an extension through April 17, 2019, for De
Summary: JOINT STIPULATION FOR EXTENSION OF TIME FOR DEFENDANT TO RESPOND TO PLAINTIFF'S MOTION TO DISMISS COUNTERCLAIM RICHARD F. BOULWARE, II , District Judge . Pursuant to Local Civil rule 6-1(a), Defendant/Counter-Claimant Bank of America, N.A. ("BANA"), by and through its attorneys of record, and Plaintiff/Counter-Defendant NV West Servicing, LLC Trustee of Copper Pine Trust # 12 ("NV West"), by and through its attorneys of record, hereby stipulate to an extension through April 17, 2019, for Def..
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JOINT STIPULATION FOR EXTENSION OF TIME FOR DEFENDANT TO RESPOND TO PLAINTIFF'S MOTION TO DISMISS COUNTERCLAIM
RICHARD F. BOULWARE, II, District Judge.
Pursuant to Local Civil rule 6-1(a), Defendant/Counter-Claimant Bank of America, N.A. ("BANA"), by and through its attorneys of record, and Plaintiff/Counter-Defendant NV West Servicing, LLC Trustee of Copper Pine Trust # 12 ("NV West"), by and through its attorneys of record, hereby stipulate to an extension through April 17, 2019, for Defendant to respond to Plaintiff's Motion to Dismiss Counterclaim. In support, the Parties state as follows:
WHEREAS, Plaintiff/Counter-Defendant NV West filed the Motion to Dismiss on March 20, 2019 (Doc. 15), and the response to the Motion is currently due on April 3, 2019;
WHEREAS, Defendant/Counter-Claimant BANA needs additional time to respond to the Motion to Dismiss, and accordingly, request a brief extension through April 17, 2019, in which to respond;
WHEREAS, Plaintiff consented to this brief extension via email to Defendant's counsel;
WHEREAS, 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.
NOW, THEREFORE, IT IS HEREBY STIPULATED by and between the Parties hereto, that the deadline for Defendant/Counter-Claimant to file its response to Plaintiff/Counter-Defendant's Motion to Dismiss shall be extended up to and including April 17, 2019.
IT IS SO ORDERED.