Opinion
Case no. 10-26052-DER Adv. no. 12-00375
09-06-2012
Craig M. Palik, 15254 McNamee, Hosea, Jernigan, Kim, Greenan & Lynch, P.A. Attorneys for Plaintiff James C. Olson, 07973 Attorney for Defendants (other than Equity Trust Company, whose claim has been transferred to Darlene Scher)
SO ORDERED
________________________
U.S. BANKRUPTCY JUDGE
(Chapter 11)
Jointly administered
STIPULATION AND ORDER EXTENDING TIME WITHIN WHICH DEFENDANTS
MUST ANSWER OR RESPOND TO THE COMPLAINT
Because the parties are currently circulating for signature a settlement agreement that resolves all of the issues raised in this adversary proceeding, and the deadline for defendants to file an answer or otherwise respond to the complaint is September 4, 2012, plaintiff and defendants (other than Equity Trust Company, whose claim has been transferred to Darlene Scher), by their undersigned counsel, hereby stipulate and agree that the time within which each defendant is required to file an answer or otherwise respond to the complaint is extended to and including October 16, 2012.
STIPULATED AND AGREED:
________________________
Craig M. Palik, 15254
McNamee, Hosea, Jernigan, Kim, Greenan & Lynch, P.A.
Attorneys for Plaintiff
________________________
James C. Olson, 07973
Attorney for Defendants (other than Equity Trust Company, whose claim has been transferred to Darlene Scher)
I HEREBY CERTIFY that the terms of the copy of this Stipulation submitted to the Court are identical to those set forth in the original Stipulation; and the signatures represented by the /s/____________ on this copy reference the signatures of consenting parties on the original Stipulation. ________________________
James C. Olson
CC:
Craig M. Palik, Esquire
McNamee, Hosea, Jernigan, Kim, Greenan & Lynch, P.A.
6411 Ivy Lane
Suite 200
Greenbelt, Maryland 20770
James C. Olson, Esquire
10451 Mill Run Circle
Suite 400
Owings Mills, Maryland 21117
Office of the U.S. Trustee
Garmatz Federal Courthouse
101 West Lombard Street, Suite 2625
Baltimore, Maryland 21201