Filed: May 15, 2019
Latest Update: May 15, 2019
Summary: STIPULATION AND ORDER EXTENDING TIME TO FILE RESPONSE TO PINE BARRENS STREET TRUST'S COUNTER CLAIM (FIRST REQUEST) CAM FERENBACH , Magistrate Judge . Plaintiffs/Counter-Defendants Wells Fargo Bank, N.A., and Federal National Mortgage Association ("Plaintiffs") and Defendant/Counter-Plaintiff Pine Barrens Street Trust ("Pine Barrens"), by and through their respective counsel (collectively the "Parties"), hereby stipulate and agree to extend the time for Plaintiffs to respond to Pine Barrens
Summary: STIPULATION AND ORDER EXTENDING TIME TO FILE RESPONSE TO PINE BARRENS STREET TRUST'S COUNTER CLAIM (FIRST REQUEST) CAM FERENBACH , Magistrate Judge . Plaintiffs/Counter-Defendants Wells Fargo Bank, N.A., and Federal National Mortgage Association ("Plaintiffs") and Defendant/Counter-Plaintiff Pine Barrens Street Trust ("Pine Barrens"), by and through their respective counsel (collectively the "Parties"), hereby stipulate and agree to extend the time for Plaintiffs to respond to Pine Barrens'..
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STIPULATION AND ORDER EXTENDING TIME TO FILE RESPONSE TO PINE BARRENS STREET TRUST'S COUNTER CLAIM
(FIRST REQUEST)
CAM FERENBACH, Magistrate Judge.
Plaintiffs/Counter-Defendants Wells Fargo Bank, N.A., and Federal National Mortgage Association ("Plaintiffs") and Defendant/Counter-Plaintiff Pine Barrens Street Trust ("Pine Barrens"), by and through their respective counsel (collectively the "Parties"), hereby stipulate and agree to extend the time for Plaintiffs to respond to Pine Barrens' Counterclaim [ECF Doc. 70] ("Counterclaim"). The Counterclaim was filed April 30, 2019. This is the first request for an extension of time to respond to the Counterclaim. The original deadline for response is May 21, 2019. The Parties agree to extend the deadline to June 14, 2019.
WHEREAS, Plaintiffs require a short extension of time to review the Counterclaim and related documents and evaluate the arguments therein;
WHEREAS, Plaintiffs requested, and Pine Barrens agreed, to extend the time for Plaintiffs to respond; and
WHEREAS, this request is not made for purposes of delay and is supported by good cause.
NOW, THEREFORE, in consideration of the foregoing, and for good cause, IT IS HEREBY STIPULATED AND AGREED, by and between the Parties, as follows:
1. Plaintiffs shall have until June 14, 2019 to respond to the Counterclaim.
Dated: May 14, 2019 Dated: May 14, 2019
SNELL & WILMER L.L.P. LAW OFFICES OF MICHAEL F. BOHN,
ESQ., LTD.
By: /s/Tanya N. Lewis By: /s/Michael F. Bohn
Kelly H. Dove, Esq. (NV Bar No. 10569) Michael F. Bohn (NV Bar No. 1641)
Tanya N. Lewis, Esq. (NV Bar No. 8855) Adam R. Trippiedi (NV Bar No. 12294)
3883 Howard Hughes Parkway, Suite 2260 Corporate Circle, Suite 480
1100 Henderson, Nevada 89074
Las Vegas, Nevada 89169
Attorneys for Plaintiffs Wells Fargo Bank, Attorneys for Defendant Pine Barrens
N.A., and Federal National Mortgage Street Trust
Association
ORDER
IT IS SO ORDERED.