Diaz et al v. Wells Fargo Bank, N.A. et al

Northern District of California, cand-4:2015-cv-01150

ORDER Granting re {{6}} Stipulation To Extend Time to Respond To Complaint filed by Wells Fargo Bank, N.A. Signed by Judge Joseph C. Spero on 3/17/15.

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1 Robert A. Bailey (#214688) rbailey@afrct.com 2 Steven R. Telles (#246514) stelles@afrct.com 3 ANGLIN, FLEWELLING, RASMUSSEN, CAMPBELL & TRYTTEN LLP 199 South Los Robles Avenue, Suite 600 4 Pasadena, California 91101-2459 Tel: (626) 535-1900 | Fax: (626) 577-7764 5 Attorneys for Defendant 6 WELLS FARGO BANK, N.A. ("Wells Fargo") 7 A NGLIN F LEWELLING R ASMUSSEN C AMPBELL & T RYTTEN LLP 8 UNITED STATES DISTRICT COURT 9 NORTHERN DISTRICT OF CALIFORNIA 10 11 YADIRA DIAZ, an individual; ALEX CASE NO.: 3:15-CV-01150-JCS DELGADO BASTIDAS, an individual; 12 Plaintiffs, JOINT STIPULATION TO EXTEND TIME 13 TO RESPOND TO COMPLAINT 14 v. 15 WELLS FARGO BANK, N.A., CAL- 16 WESTERN RECONVEYANCE, LLC; TRIDENT FINANCIAL GROUP, INC. and 17 DOES 1 through 20, inclusive, 18 Defendants. 19 20 21 TO THE HONORABLE COURT: 22 Plaintiffs, YADIRA DIAZ and ALEX DELGADO BASTIDAS ("Plaintiffs"), and 23 defendant, WELLS FARGO BANK, N.A., successor by merger with Wells Fargo Bank 24 Southwest, N.A., formerly known as Wachovia Mortgage, FSB, formerly known as World 25 Savings Bank, FSB ("Wells Fargo"), through their counsel of record, submit the following 26 stipulation to extend time to respond to the Complaint pursuant to N.D. Cal. Local Rule 6-1(a). A 27 Court Order is not required at this time since this stipulation will not alter the date of any event 28 or any deadline already fixed by Court Order. 93000/FR1539/01099195-2 JOINT STIPULATION TO EXTEND TIME 1 1 RECITALS 2 1. WHEREAS, on February 6, 2015, Plaintiffs commenced an action entitled as 3 captioned above, in the Superior Court of the State of California, County of San Mateo, Case 4 No. CIV532437; 5 2. WHEREAS, Wells Fargo was served with the Complaint on February 9, 2015; 6 3. WHEREAS, Defendant Wells Fargo removed the action to this Court; 7 4. WHEREAS, the parties agree that Wells Fargo's deadline to respond to the A NGLIN F LEWELLING R ASMUSSEN C AMPBELL & T RYTTEN LLP 8 Complaint is extended until April 1, 2015; and 9 5. WHEREAS, this stipulation waives no rights of any parties. 10 STIPULATION 11 IT IS HEREBY STIPULATED, that the deadline for Wells Fargo to respond to the 12 Complaint is extended 14 days from March 18, 2015 to April 1, 2015. 13 ATTESTATION PURSUANT TO GENERAL ORDER 45 14 I, Steven R. Telles, attest that concurrence in the filing of this document has been 15 obtained from each signatory. I declare under penalty of perjury under the laws of the United 16 States of America that the foregoing is true and correct. Executed this day of March 16, 2015. 17 S DISTRICT ANGLIN, FLEWELLING, RASMUSSEN, 18 Dated: March 16, 2015 ATE C T CAMPBELL & TRYTTEN LLP O S U ED 19 RT D RDERE UNIT OO 20 Dated: 3/17/15 IT IS S By: /s/ Steven R. Telles R NIA Steven R. Telles 21 Spero stelles@afrct.com seph C. NO Judge Jo FO Attorneys for Defendant RT 22 WELLS FARGO BANK, N.A., successor by merger LI ER H A N Cwith Wells Fargo Bank Southwest, N.A., formerly F 23 D I S T I C T O known as Wachovia Mortgage, FSB, formerly known R as World Savings Bank, FSB ("Wells Fargo") 24 Dated: March 16, 2015 NICK PACHECO LAW GROUP, APC 25 26 By: /s/ Nick Pacheco Nick Pacheco, Esq. 27 nickpacheco@nickpachecolaw.com Attorneys for Plaintiffs 28 YADIRA DIAZ and ALEX DELGAGO BASTIDAS 93000/FR1539/01099195-2 JOINT STIPULATION TO EXTEND TIME 2 1 CERTIFICATE OF SERVICE 2 I, the undersigned, declare that I am over the age of 18 and am not a party to this action. I am employed in the City of Pasadena, California; my business address is Anglin, Flewelling, 3 Rasmussen, Campbell & Trytten LLP, 199 S. Los Robles Avenue, Suite 600, Pasadena, California 91101-2459. 4 5 On the date below, I served a copy of the foregoing document entitled: 6 JOINT STIPULATION TO EXTEND TIME TO 7 RESPOND TO COMPLAINT on the interested parties in said case as follows: A NGLIN F LEWELLING R ASMUSSEN C AMPBELL & T RYTTEN LLP 8 9 Served Electronically Via The Court's CM/ECF System: 10 Counsel for Plaintiffs Counsel for Defendant Yadira Diaz and Alex Delgado Bastidas Cal-Western Reconveyance, LLC 11 [Courtesy Copy] 12 Nick Pacheco, Esq. Melissa N. Armstrong, Esq. 13 NICH PACHECO LAW GROUP, APC BUTLER & HOSCH, P.A. 15501 San Fernando Mission Blvd., #110 525 E. Main Street 14 Mission Hills, CA 91345 El Cajon, California 92020 15 Tel: 888.888.8641 | Fax: 800.210.0028 Tel: 619.569.1114 | Fax: 407.381.5577 16 Email: nickpacheco@nickpachecolaw.com Email: Melissa.armstrong@butlerandhosch.com 17 I declare under penalty of perjury under the laws of the United States of America that 18 the foregoing is true and correct. I declare that I am employed in the office of a member of the Bar of this Court, at whose direction the service was made. This declaration is executed in 19 Pasadena, California on March 16, 2015. 20 Marianne Mantoen /s/ Marianne Mantoen 21 (Type or Print Name) (Signature of Declarant) 22 23 24 25 26 27 28 93000/FR1539/01099195-2 1 CERTIFICATE OF SERVICE