Opinion
2:23-CV-00452-CDS-NJK
04-06-2023
Scott E. Gizer, Esq., Nevada Bar No. 12216 Sophia S. Lau, Esq., Nevada Bar No. 13365 EARLY SULLIVAN WRIGHT GIZER & McRAE LLP Kevin S. Sinclair, NV Bar No. 12277 Samantha J. Aceves, NV Bar No. 116042 SINCLAIR BRAUN KARGHER LLP Attorneys for Defendant NATIONAL TITLE INSURANCE OF NEW YORK, INC., erroneously sued as NATIONAL TITLE INSURANCE COMPANY OF NEW YORK, INC. DESIGNATED LOCAL COUNSEL FOR SERVICE OF PROCESS ON SINCLAIR BRAUN LLP PER L.R. LA 11 -1(b) Janet Trost, Esq.
Scott E. Gizer, Esq., Nevada Bar No. 12216
Sophia S. Lau, Esq., Nevada Bar No. 13365
EARLY SULLIVAN WRIGHT
GIZER & McRAE LLP
Kevin S. Sinclair, NV Bar No. 12277
Samantha J. Aceves, NV Bar No. 116042
SINCLAIR BRAUN KARGHER LLP
Attorneys for Defendant
NATIONAL TITLE INSURANCE OF NEW YORK, INC., erroneously sued as NATIONAL TITLE INSURANCE COMPANY OF NEW YORK, INC.
DESIGNATED LOCAL COUNSEL FOR SERVICE OF PROCESS ON SINCLAIR BRAUN LLP PER L.R. LA 11 -1(b)
Janet Trost, Esq.
ORDER
CONTINUING DEADLINE TO RESPOND TO COMPLAINT (ECF NO. 1)
FIRST REQUEST
NANCY J. KOPPE, UNITED STATES MAGISTRATE JUDGE.
COMES NOW defendant National Title Insurance of New York, Inc., erroneously sued as National Title Insurance Company of New York, Inc. (“National Title”) and plaintiff Pennymac Loan Services, LLC (“Pennymac”), by and through their- respective attorneys of record, which hereby agree and stipulate as follows:
1. On March 8, 2023, Pennymac filed its complaint in the Eighth Judicial District Court for the State of Nevada;
2. On March 28, 2023, National Title removed the instant case to the United States District Court for the State of Nevada (ECF No. 1);
3. National Title's response to Pennymac's complaint is currently due on April 10, 2023;
4. Counsel for National Title requests a 30-day extension to respond to Pennymac's complaint, through and including May 10, 2023, to afford National Title's counsel additional time to review and respond to the allegations contained in Pennymac's complaint.
5. Counsel for Pennymac does not oppose the requested extension;
6. This is the first request for an extension made by counsel for National Title, which is made in good faith and not for the pruposes of delay.
7. This stipulation is entered into without waiving any of National Title's objections under Fed.R.Civ.P. 12.
IT IS SO STIPULATED that National Title's deadline to respond to the complaint is hereby extended through and including May 10, 2023.
IT IS SO ORDERED.