Opinion
Case No.: 10-25846 DK, Adv. No.: 10-00913.
January 13, 2011
Troy C. Swanson 05806, Cohen Swanson, P.C., Bel Air, MD, Attorney for Plaintiff, Chesapeake Bank Trust, Co.
James R. Schraf 03470, Logan, Yumkas, Vidmar Sweeney, LLC, Annapolis, Maryland, Attorney for Defendant, Barry P. Feaga.
STIPULATION AND ORDER SETTING TIME FOR FILING INITIAL RESPONSE
Plaintiff Chesapeake Bank Trust, Co., and Defendant Barry P. Feaga ("Defendant") hereby stipulate that the time for the Defendant to respond to the Complaint for Determination o Non-Dischargability of Debt in this proceeding shall be through and including January 18, 2011. AGREED, CONSENTED AND STIPULATED TO:
Signed: January 12, 2011