Opinion
2:22-cv-01839-JCM-VCF
12-09-2022
MUSHKIN & COPPEDGE MICHAEL R. MUSHKIN, ESQ. Attorneys for Plaintiff, Tracy Mitchusson AKERMAN LLP MELANIE D. MORGAN, ESQ. Attorneys for The Bank of New York Mellon and Newrez LLC dba Shellpoint Mortgage Servicing RICHARD J. REYNOLDS, ESQ.7 Attorneys for MTC Financial Inc. dba Trustee Corps
MUSHKIN & COPPEDGE MICHAEL R. MUSHKIN, ESQ. Attorneys for Plaintiff, Tracy Mitchusson
AKERMAN LLP MELANIE D. MORGAN, ESQ. Attorneys for The Bank of New York Mellon and Newrez LLC dba Shellpoint Mortgage Servicing
RICHARD J. REYNOLDS, ESQ.7 Attorneys for MTC Financial Inc. dba Trustee Corps
STIPULATION AND ORDER TO CONTINUE BRIEFING SCHEDULE ON PLAINTIFF'S OPPOSITION TO MOTION TO DISMISS
Plaintiff, Tracy Mitchusson (“Plaintiff”), by and through her attorney, Michael R. Mushkin, and Bank of New York Mellon and Newrez, LLC dba Shellpoint Mortgage Servicing (“Defendant BONYM” and “Defendant Shellpoint”), by and through their attorney, Melanie D. Morgan, and MTC Financial Inc. (“Defendant MTC”), by and through their attorney Richard Reynolds, hereby stipulate regarding the Motion to Dismiss [ECF No. 8] as follows:
1. Defendants filed their Motion to Dismiss (the “Motion”) on November 21, 2022.
2. The Opposition to the Motion was due on December 5, 2022.
3. The Parties wish to continue the briefing on the Motion and the deadline to file the Opposition.
4. Accordingly, the Parties request that the briefing be continued with the Opposition due on or before December 12, 2022.
5. This Stipulation is made in good faith and not for the purposes of delay. Plaintiffs' staff has tested positive for covid and is recovering.
IT IS SO STIPULATED.
IT IS SO ORDERED.