Opinion
2:23-cv-00452-CDS-NJK
04-19-2023
ARIEL E. STERN, ESQ. NATALIE L. WINSLOW, ESQ. NICHOLAS E. BELAY, ESQ. Akerman LLP Attorneys for Pennymac Loan Services, LLC Sinclair Braun Kargher LLP KEVIN S. SINCLAIR, ESQ. Attorneys for National Title Insurance Company of New York'Inc
ARIEL E. STERN, ESQ. NATALIE L. WINSLOW, ESQ. NICHOLAS E. BELAY, ESQ. Akerman LLP Attorneys for Pennymac Loan Services, LLC
Sinclair Braun Kargher LLP KEVIN S. SINCLAIR, ESQ. Attorneys for National Title Insurance Company of New York'Inc
STIPULATION AND ORDER FOR EXTENSION OF TIME TO FILE RESPONSE TO MOTION TO STAY CASE (FIRST REQUEST)
Pennymac Loan Services, LLC and National Title Insurance Company of New York, Inc. hereby stipulate that Pennymac shall have an additional fourteen (14) days, up to and including May 2, 2023, to file its response to the motion to stay case, which is currently due on April 18, 2023, pursuant to ECF No. 8. The motion was filed on April 4, 2023.
The parties enter into this stipulation to address current time and scheduling constraints on Pennymac's counsel. This is the parties' first request for an extension of this deadline and is not intended to cause any delay or prejudice to any party.
ORDER
IT IS SO ORDERED that Pennymac shall have an additional fourteen (14) days, up to and including May 2, 2023, to file its response to the motion to stay case, which is granted nunc pro time to the date of the request.