Opinion
2:22-cv-01515-JCM-EJY
02-23-2023
JOSEPH Y. HONG, ESQ. State Bar No. 005995 HONG & HONG LAW OFFICE Attorney for Plaintiff SILVER CREEK CAPITAL, LLC SCOTT R. LACHMAN, ESQ. State Bar No. 012016 AKERMAN LLP Attorney for BANK OF AMERICA, N.A.
JOSEPH Y. HONG, ESQ. State Bar No. 005995 HONG & HONG LAW OFFICE Attorney for Plaintiff SILVER CREEK CAPITAL, LLC
SCOTT R. LACHMAN, ESQ. State Bar No. 012016 AKERMAN LLP Attorney for BANK OF AMERICA, N.A.
FIRST STIPULATION AND ORDER TO EXTEND DEADLINES FOR SILVER CREEK CAPITAL, LLC TO FILE ITS RESPONSES TO MOTIONS TO DISMISS AMENDED COMPLAINT, DISSOLVE INJUNCTION, EXPUNGE LIS PENDENS, AND ASSIGN RENTS [ECF Nos. 20, 21, 22, 23]
The current deadlines for Plaintiff, SILVER CREEK CAPITAL, LLC (“Silver Creek”), to file its responses to Defendant, BANK OF AMERICA, N.A.'s (“Bana”), motions to dismiss amended complaint, dissolve injunction, expunge lis pendens, and assign rents [ECF Nos. 20, 21, 22, 23] is February 23, 2023. Silver Creek's counsel is experiencing an emergency that began in the late evening of February 22, 2023 and, therefore, is unable to finalize Silver Creek's responses. Thus, Silver Creek respectfully requests a first extension. Counsel for Bana agreed to stipulate to extend the deadlines. The parties enter into this stipulation in good faith and not out of a desire to harass or delay. The parties agree:
That the deadlines for Silver Creek to file its responses to Bana's motions to dismiss, dissolve injunction, expunge lis pendens, and assign rents [ECF Nos. 20, 21, 22, 23] shall be extended to March 9, 2023.
IT IS SO AGREED AND STIPULATED.
IT IS SO ORDERED.