Filed: Apr. 25, 2019
Latest Update: Apr. 25, 2019
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR PARTIES TO COMPLETE SETTLEMENT AGREEMENT (First Request) RICHARD F. BOULWARE, II , District Judge . Plaintiff Flagstar Bank, FSB ("Plaintiff"), Defendant/Counterclaimant/Crossclaimant Saticoy Bay LLC Series 300 Crosswind ("Saticoy Bay") and Defendant The Coves Homeowners Association ("HOA"), through their undersigned counsel of record (collectively "Parties") hereby stipulate and agree to continue the deadline to file the Stipulation for Dismissal.
Summary: STIPULATION AND ORDER TO EXTEND TIME FOR PARTIES TO COMPLETE SETTLEMENT AGREEMENT (First Request) RICHARD F. BOULWARE, II , District Judge . Plaintiff Flagstar Bank, FSB ("Plaintiff"), Defendant/Counterclaimant/Crossclaimant Saticoy Bay LLC Series 300 Crosswind ("Saticoy Bay") and Defendant The Coves Homeowners Association ("HOA"), through their undersigned counsel of record (collectively "Parties") hereby stipulate and agree to continue the deadline to file the Stipulation for Dismissal. T..
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STIPULATION AND ORDER TO EXTEND TIME FOR PARTIES TO COMPLETE SETTLEMENT AGREEMENT
(First Request)
RICHARD F. BOULWARE, II, District Judge.
Plaintiff Flagstar Bank, FSB ("Plaintiff"), Defendant/Counterclaimant/Crossclaimant Saticoy Bay LLC Series 300 Crosswind ("Saticoy Bay") and Defendant The Coves Homeowners Association ("HOA"), through their undersigned counsel of record (collectively "Parties") hereby stipulate and agree to continue the deadline to file the Stipulation for Dismissal. The parties base this agreement upon the following:
1. The Parties filed a Notice of Settlement with the court on March 8, 2019 (ECF No. 57) where the Parties agreed to file a stipulation for dismissal no later than April 25, 2019.
2. In light of the filing of the Notice of Settlement, the Court ordered that the parties file a stipulation for dismissal within 45 days. (ECF No. 58).
3. The Parties are still in the process of finalizing the settlement documentation and need some additional time to file the stipulation for dismissal.
Based on the foregoing, IT IS HEREBY STIPULATED AND AGREED the Parties request an additional 45 days from this date to complete the settlement documentation and to file the Stipulation for Dismissal.
IT IS FURTHER STIPULATED AND AGREED that the Parties jointly request that the calendared deadlines continue to be stayed and/or that the case be held in abeyance while the Parties document the settlement.
Dated April 24, 2019 Dated April 24, 2019
DICKINSON WRIGHT, PLLC Boyack Orme & Anthony
By: /s/ Cynthia L. Alexander, Esq. By: Colli Christine McKiever, Esq.
Cynthia L. Alexander, Esq. Edward Boyack, Esq.
Nevada Bar No. 6718 Nevada Bar 005229
Taylor Anello, Esq. Colli Christine McKiever, Esq.
Nevada Bar No. 12881 Nevada Bar 13724
8363 West Sunset Road, Suite 200 7432 W. Sahara Avenue Suite 101
Las Vegas, Nevada 89113-2210 Las Vegas, NV 89117
Attorneys for Plaintiff/Counterdefendant Attorneys for Defendant The Coves
Flagstar Bank, FSB Homeowners Association
Dated April 24, 2019
Law Offices of Michael F. Bohn, Esq., Ltd.
By: /s/ Adam R. Trippiedi, Esq.
Michael F. Bohn, Esq.
Nevada Bar No. 1641
Adam R. Trippiedi, Esq.
Nevada Bar No. 12294
2260 Corporate Circle Suite 480
Henderson, NV 89074
Attorney for Saticoy Bay LLC Series 300
Crosswind
IT IS SO ORDERED.