Opinion
2:22-cv-00192-JAD-BNW
11-08-2022
HANKS LAW GROUP KAREN L. HANKS, ESQ. CHANTEL M. SCHIMMING, ESQ. Attorneys for SFR Investments Pool 1, LLC AKERMAN LLP ARIEL STERN, ESQ. NATALIE L. WINSLOW, ESQ. PAIGE L. MAGASTER, ESQ. Attorneys for NewRez LLC d/b/a Shellpoint Mortgage Servicing
HANKS LAW GROUP KAREN L. HANKS, ESQ. CHANTEL M. SCHIMMING, ESQ. Attorneys for SFR Investments Pool 1, LLC
AKERMAN LLP ARIEL STERN, ESQ. NATALIE L. WINSLOW, ESQ. PAIGE L. MAGASTER, ESQ. Attorneys for NewRez LLC d/b/a Shellpoint Mortgage Servicing
STIPULATION TO EXTEND TIME TO RESPOND TO SFR'S REQUESTS FOR ADMISSION, INTERROGATORIES, AND SECOND SET OF REQUESTS FOR PRODUCTION OF DOCUMENTS
BRENDA WEKSLER UNITED STATES MAGISTRATE JUDGE
SFR Investments Pool 1, LLC and NewRez, LLC dba Shellpoint Mortgage Servicing hereby stipulate and agree that Shellpoint shall have until November 11, 2022, to respond to the following requests and interrogatories propounded in SFR's requests for admission, interrogatories, and second set of requests for production of documents served on September 20, 2022:
• Requests for Admission Nos. 1, 2, 5, 6, 11, 12, 16-46
• Interrogatories Nos. 1-11 & 15-23
• Requests for Production Nos. 9-15 & 17-18
Shellpoint and SFR further agree that SFR shall withdraw the remaining written discovery not so identified in this stipulation based on the court's grant of Shellpoint's motion for judgment on the pleadings as to SFR's NRS 106.240 claim and grant of SFR's motion to dismiss Shellpoint's slander of title claim ECF No. 88
Shellpoint does not waive any objections to SFR's written discovery requests by entering into this stipulation. The parties enter into this stipulation in good faith and not for purposes of delay or to prejudice any party.
ORDER
IT IS SO ORDERED