Filed: Jun. 20, 2019
Latest Update: Jun. 20, 2019
Summary: STIPULATION AND PROPOSED ORDER EXTENDING DEFENDANT FIDELITY NATIONAL TITLE INSURANCE COMPANY'S TIME TO RESPOND TO COMPLAINT (First Request) BRENDA WEKSLER , Magistrate Judge . Plaintiff HSBC Bank, National Association, as Trustee for the Holders of the GSAA Home Equity Trust 2005-15 Asset-Backed Certificate Series 2005-15 (hereinafter "HSBC"), and Defendant Fidelity National Title Insurance Company ("Fidelity"), by and through their counsel of record, hereby stipulate as follows: WHEREAS,
Summary: STIPULATION AND PROPOSED ORDER EXTENDING DEFENDANT FIDELITY NATIONAL TITLE INSURANCE COMPANY'S TIME TO RESPOND TO COMPLAINT (First Request) BRENDA WEKSLER , Magistrate Judge . Plaintiff HSBC Bank, National Association, as Trustee for the Holders of the GSAA Home Equity Trust 2005-15 Asset-Backed Certificate Series 2005-15 (hereinafter "HSBC"), and Defendant Fidelity National Title Insurance Company ("Fidelity"), by and through their counsel of record, hereby stipulate as follows: WHEREAS, ..
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STIPULATION AND PROPOSED ORDER EXTENDING DEFENDANT FIDELITY NATIONAL TITLE INSURANCE COMPANY'S TIME TO RESPOND TO COMPLAINT
(First Request)
BRENDA WEKSLER, Magistrate Judge.
Plaintiff HSBC Bank, National Association, as Trustee for the Holders of the GSAA Home Equity Trust 2005-15 Asset-Backed Certificate Series 2005-15 (hereinafter "HSBC"), and Defendant Fidelity National Title Insurance Company ("Fidelity"), by and through their counsel of record, hereby stipulate as follows:
WHEREAS, HSBC filed its Complaint in this matter on February 25, 2019 (ECF No. 1);
WHEREAS, Fidelity was served with the Summons and Complaint on or about May 28, 2019;
WHEREAS, counsel for Fidelity was only recently retained and requires additional time to respond to the Complaint;
WHEREAS, this is the first stipulation for an extension of Fidelity's time to respond to the Complaint; and
WHEREAS, HSBC has agreed to extend Fidelity's time to respond to the Complaint to July 2, 2019.
Now, therefore, the parties hereto, by and through their counsel of record, hereby stipulate and agree as follows:
1. Fidelity shall file its response to the Complaint in this matter on or before July 2, 2019.
2. Fidelity intends to preserve its right and does not expressly waive any and all defenses listed in Fed. R. Civ. P. 12(b), including with respect to whether it is subject to personal jurisdiction in this forum.
ORDER
IT IS SO ORDERED.