Filed: Sep. 05, 2019
Latest Update: Sep. 05, 2019
Summary: STIPULATION AND WITHDRAWAL OF VERIFIED CLAIM AND ANSWER OF LIENHOLDER, VARK INVESTMENTS, LLC KIMBERLY J. MUELLER , District Judge . IT IS HEREBY STIPULATED by and between claimant, VARK INVESTMENTS, LLC ("Claimant"), by and through her undersigned counsel, Edward T. Weber, and Plaintiff, the United States of America ("Plaintiff"), by and through its undersigned counsel, Kevin C. Khasigian, Assistant U.S. Attorney, as follows: 1. Claimant asserted a lienholder interest in the defendant p
Summary: STIPULATION AND WITHDRAWAL OF VERIFIED CLAIM AND ANSWER OF LIENHOLDER, VARK INVESTMENTS, LLC KIMBERLY J. MUELLER , District Judge . IT IS HEREBY STIPULATED by and between claimant, VARK INVESTMENTS, LLC ("Claimant"), by and through her undersigned counsel, Edward T. Weber, and Plaintiff, the United States of America ("Plaintiff"), by and through its undersigned counsel, Kevin C. Khasigian, Assistant U.S. Attorney, as follows: 1. Claimant asserted a lienholder interest in the defendant pr..
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STIPULATION AND WITHDRAWAL OF VERIFIED CLAIM AND ANSWER OF LIENHOLDER, VARK INVESTMENTS, LLC
KIMBERLY J. MUELLER, District Judge.
IT IS HEREBY STIPULATED by and between claimant, VARK INVESTMENTS, LLC ("Claimant"), by and through her undersigned counsel, Edward T. Weber, and Plaintiff, the United States of America ("Plaintiff"), by and through its undersigned counsel, Kevin C. Khasigian, Assistant U.S. Attorney, as follows:
1. Claimant asserted a lienholder interest in the defendant property located at 5755 TWISTING TRAILS ROAD, GARDEN VALLEY, CALIFORNIA, EL DORADO COUNTY, APN: 084-011-12-100.
2. Claimant filed an answer to the complaint in this case on 5/22/2018.
3. The loan has since been satisfied and Claimant no longer has an interest in the defendant real property located at 5755 TWISTING TRAILS ROAD, GARDEN VALLEY, CALIFORNIA, EL DORADO COUNTY, APN: 084-011-12-100.
4. Accordingly, Claimant hereby withdraws its claim filed in the above-captioned case on May 21, 2018, with respect to 5755 TWISTING TRAILS ROAD, GARDEN VALLEY, CALIFORNIA, EL DORADO COUNTY property [Dk. 17], and its answer filed in the above-captioned case on May 22, 2018 [Dk. 20].
5. To the extent required under the Federal Rules of Civil Procedure, Rule 41(a), Plaintiff agrees to dismiss with prejudice Claimant in the above-captioned case pursuant to the Federal Rules of Civil Procedure, Rule 41(a). Defendant Real Property Located at 5755 TWISTING TRAILS ROAD, GARDEN VALLEY, CALIFORNIA, EL DORADO COUNTY is the in rem Defendant.
6. Each party hereto is to bear its own costs; and
7. Claimant is hereby removed from the Service List for the above-captioned case.
LAW OFFICES OF EDWARD T. WEBER
Dated: September 5, 2019 By: /s/ Edward T. Weber
EDWARD T. WEBER, ESQ.
Attorneys for Lienholder/Claimant
McGREGOR W. SCOTT
UNITED STATES ATTORNEY
Dated: September 5, 2019. /s/Kevin C. Khasigian
KEVIN C. KHASIGIAN
Assistant U.S. Attorney
(Authorized by email)
ORDER
The Court has read and considered the Stipulation of Withdrawal of Verified Claim and Answer by VARK INVESTMENTS, LLC ("Claimant"), and Plaintiff, United States of America ("Plaintiff"), by and through their respective counsel (collectively, the "Parties"). For the reasons stated in the Stipulation and for good cause shown,
IT IS HEREBY ORDERED as follows:
1. The Stipulation [Dk. 64] is approved.
2. Claimant's claim filed in the above-captioned case on May 21, 2018 [Dk. 17] is hereby deemed withdrawn.
3. Claimant's answer filed in the above-captioned case on May 22, 2018 [Dk. 20] is hereby deemed withdrawn.
4. Claimant is hereby deemed dismissed from the above-captioned case.
IT IS SO ORDERED.