Opinion
CASE NO. 3:12-cv-06435-JCS
03-04-2013
KARINA L. HOWE, et al. Plaintiffs, v. BANK OF AMERICA, N.A., et al. Defendants.
Jennifer A. Jackson, California Bar No. 192998 BRYAN CAVE LLP Bahareh Mostajelean, California Bar No. 258903 Julien E. Capers, California Bar No. 275733 BRYAN CAVE LLP Attorneys for Defendants BANK OF AMERICA, N.A., individually and as successor by merger to BAC HOME LOANS SERVICING, LP (erroneously sued as BAC Home LOANS SERVICING, LP F/K/A COUNTRYWIDE HOME LOANS, INC.) Joel S. Wadsworth ( pro hac vice ) Attorneys for Plaintiffs
Jennifer A. Jackson, California Bar No. 192998
BRYAN CAVE LLP
Bahareh Mostajelean, California Bar No. 258903
Julien E. Capers, California Bar No. 275733
BRYAN CAVE LLP
Attorneys for Defendants
BANK OF AMERICA, N.A., individually and as successor by merger to BAC HOME LOANS
SERVICING, LP (erroneously sued as BAC Home LOANS SERVICING, LP F/K/A
COUNTRYWIDE HOME LOANS, INC.)
STIPULATION TO EXTEND BANK OF
AMERICA, N.A.'S TIME TO RESPOND
TO INITIAL COMPLAINT PER LOCAL
RULE 6-1(a)
Date Action Filed: December 18, 2012
Honorable Joseph C. Spero
Pursuant to Local Rule 6-1(a), plaintiffs and defendants Bank of America, N.A., individually and as successor by merger to BAC Home Loans Servicing, L.P. (erroneously sued as BAC Home Loans Servicing, LP f/k/a Countrywide Home Loans, Inc.), ("Bank of America"), through their respective counsel of record herein, agree and stipulate as follows:
Bank of America shall have through and including April 2, 2013, to answer, move, or otherwise respond to plaintiffs' complaint.
This stipulation does not alter the date of any event or deadline already fixed by the Court.
WHEREFORE, the parties agree and stipulate that Bank of America shall have through and including April 2, 2013, to answer, move, or otherwise respond to plaintiffs' complaint.
BRYAN CAVE LLP
By: _______________
Julien E. Capers
Attorneys for Defendant
BANK OF AMERICA, N.A., individually and as
successor by merger to BAC HOME LOANS
SERVICING, LP (erroneously sued as BAC Home
LOANS SERVICING, LP F/K/A COUNTRYWIDE
HOME LOANS, INC.)
THE WADSWORTH FIRM
By: _______________
Joel S. Wadsworth (pro hac vice)
Attorneys for Plaintiffs
I, Julien E. Capers, am the ECF user whose identification and password were used to file this Stipulation. I hereby attest that Joel S. Wadsworth concurs in this filing.
Judge Joseph C. Spero
Julien E. Capers