Searching over 5,500,000 cases.


searching
Buy This Entire Record For $7.95

Download the entire decision to receive the complete text, official citation,
docket number, dissents and concurrences, and footnotes for this case.

Learn more about what you receive with purchase of this case.

U.S. Bank, National Association v. Sfr Investments Pool 1, LLC

United States District Court, D. Nevada

February 15, 2018

U.S. BANK, NATIONAL ASSOCIATION, as Trustee for GSAA2006-1, an Ohio Company; SUNTRUST MORTGAGE, INC., a Virginia Corporation Plaintiffs,
v.
SFR INVESTMENT POOL 1, LLC, a Nevada limited liability company; SAN MARINO PROPERTY OWNERS ASSOCIATION, a Nevada non-profit corporation Defendants.

          DICKINSON WRIGHT PLLC Cynthia L. Alexander, Esq. Attorneys for Plaintiffs U.S. Bank, National Association, as Trustee for GSAA 2006-1 and SunTrust Mortgage, Inc.

          Diana S. Ebron Kim Gilbert Ebron Attorneys for Defendant SFR Investments Pool 1, LLC

          Karen Kao Lipson Neilson Cole Seltzer & Garin PC Attorneys for Defendant San Marino Property Owners Association

          STIPULATION AND ORDER TO EXTEND DISCOVERY AND TO AMEND SCHEDULING ORDER [ECF NO. 30] (FIRST REQUEST)

         Pursuant to LR IA 6-1, LR 7-1, and LR 26-4, Plaintiffs U.S. Bank, National Association, as Trustee for GSAA 2006-1 and SunTrust Mortgage, Inc. (“Plaintiffs”) through undersigned counsel, the law firm of Dickinson Wright, PLLC, Defendant SFR Investments Pool 1, LLC (“SFR”) through undersigned counsel, the law firm of Kim Gilbert Ebron, and Defendant San Marino Property Owners Association (“San Marino”), the law firm Lipson Neilson Cole Seltzer & Garin PC hereby agree and stipulate to extend the case management deadlines as set forth below. This is the parties' first request to extend discovery deadlines.

         A. BACKGROUND STATEMENT AND COMPLETED DISCOVERY:

         Plaintiffs filed their Complaint on May 10, 2017 in the United States District Court for the District of Nevada. On September 12, 2017, the Court entered its initial scheduling order in this case. (ECF No. 30.) Plaintiffs just recently retained new counsel in this matter and filed the Substitution of Counsel on February 12, 2018. This is the first request for an extension of the discovery deadlines, which is limited to a request for an additional sixty (60) days.

         The following discovery has been completed:

Plaintiffs served initial disclosures on September 7, 2017.
Defendant SFR served initial disclosures on September 6, 2017.
Defendant San Marino served initial disclosures on September 26, 2017.
Defendant San Marino has served Plaintiffs with interrogatories, request for production and request for admission (“San Marino Discovery Requests”) on November 7, 2017. Plaintiffs have until February 16, 2018 to respond to the San Marino Discovery Requests.
Defendant/Counterclaimant SFR served U.S. Bank with interrogatories, request for production and request for admission (“SFR Discovery Requests”) on February 7, 2018.
Defendant/Counterclaimant SFR has noticed the Rule 30(b)(6) Depositions of Plaintiffs for March 9, 2018. The parties will likely need additional time to schedule the depositions for a mutually agreeable date.

         B. DESCRIPTION OF ...


Buy This Entire Record For $7.95

Download the entire decision to receive the complete text, official citation,
docket number, dissents and concurrences, and footnotes for this case.

Learn more about what you receive with purchase of this case.