Opinion
2:23-cv-01348
10-10-2023
SFR INVESTMENTS POOL 1, LLC, Plaintiff, v. FEDERAL NATIONAL MORTGAGE ASSOCIATION; DOES I through X; and ROE BUSINESS ENTITIES I through X, inclusive, Defendants.
HANKS LAW GROUP Karen L. Hanks Dean Martin Attorneys for SFR Investments Pool I, LLC. SNELL & WILMER, L.L.P. Kelly H. Dove, Esq. Erica Stutman Howard Hughes Pkwy, Attorneys for Federal National Mortgage Association.
HANKS LAW GROUP Karen L. Hanks Dean Martin Attorneys for SFR Investments Pool I, LLC.
SNELL & WILMER, L.L.P. Kelly H. Dove, Esq. Erica Stutman Howard Hughes Pkwy, Attorneys for Federal National Mortgage Association.
STIPULATION AND ORDER TO EXTEND RESPONSE AND REPLY DEADLINES (FIRST REQUEST)
Plaintiff, SFR INVESTMENTS POOL 1, LLC, (“SFR”) and Defendant, FEDERAL NATIONAL MORTGAGE ASSOCIATION (“Fannie Mae”) (collectively the “Parties”) by and through their respective counsel of record, hereby stipulate and agree as follows:
(1) SFR shall have until October 31, 2023 to file its reply in support of motion for preliminary injunction. [ECF 8 and 9]. The current deadline is October 18, 2023.
(2) SFR shall have until October 31, 2023 to file its response to the motion to dismiss [ECF 23 and motion to expunge. [ECF 24]. The current deadline is October 10, 2023.
(3) Fannie Mae shall have until November 14, 2023, to file its replies in support of motion to dismiss and motion to expunge.
This is the first request to extend these deadlines. The extension is requested because there are overlapping arguments. The parties represent this stipulation is not made with any intent to delay or prejudice either party.
ORDER
IT IS SO ORDERED.