Opinion
Adv. Proc. No. 11-00830-WIL
01-05-2012
James R. Schraf, 03470 Lisa Yonka Stevens, 27728 Logan, Yumkas, Vidmar & Sweeney, LLC Counsel for Plaintiff, D.C. Development, LLC Louis J. Ebert, 02031 Joshua D. Bradley, 28821 Rosenberg | Martin | Greenberg, LLP Counsel for Branch Banking and Trust Company
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WENDELIN. I. LIPP
U. S. BANKRUPTCY JUDGE
STIPULATION EXTENDING TIME FOR PLAINTIFF TO RESPOND
TO MOTION TO DISMISS AMENDED COMPLAINT TO AVOID LIEN
AND PREFERENTIAL TRANSFER AND RECOVER PROPERTY
D.C. Development, LLC (the "Plaintiff") and Branch Banking and Trust Company (the "Defendant"), by their respective counsel, file this Stipulation as follows:
WHEREAS, on October 15, 2011, the Plaintiff filed the Complaint to Avoid Lien and Preferential Transfer and Recover Property (the "Complaint");
WHEREAS, on November 21, 2011, the Defendant filed a Motion to Dismiss the Complaint;
WHEREAS, on December 5, 2011, the Plaintiff filed the Amended Complaint to Avoid Lien and Preferential Transfer and Recover Property (the "Amended Complaint");
WHEREAS, on December 21, 2011, the Defendant filed a Motion to Dismiss the Amended Complaint (the "Motion to Dismiss"); and
WHEREAS, the Defendant is willing to extend the time by which the Plaintiff has to respond to the Motion to Dismiss until January 11, 2012.
NOW, THEREFORE, it is hereby stipulated by and between Plaintiff D.C. Development, LLC and Defendant Branch Banking and Trust Company that the Plaintiff shall have through and including January 11, 2012 to respond to the Motion to Dismiss.
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James R. Schraf, 03470
Lisa Yonka Stevens, 27728
Logan, Yumkas, Vidmar & Sweeney, LLC
Counsel for Plaintiff, D.C. Development, LLC
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Louis J. Ebert, 02031
Joshua D. Bradley, 28821
Rosenberg | Martin | Greenberg, LLP
Counsel for Branch Banking and Trust Company
I HEREBY CERTIFY that the terms of the copy of the 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.
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James R. Schraf
CERTIFICATE OF SERVICE
I hereby certify that on the 4th day of January 2012, notice of filing the Stipulation Extending Time for Plaintiff to Respond to Motion to Dismiss Amended Complaint to Avoid Lien and Preferential Transfer and Recover Property was sent electronically to those parties listed on the docket as being entitled to such electronic notice.
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James R. Schraf