Opinion
2:22-CV-01905-JAD-DJA
01-12-2023
U.S. BANK, N.A., Plaintiff, v. FIDELITY NATIONAL TITLE INSURANCE COMPANY Defendant.
Scott E. Gizer, Esq., Sophia S. Lau, Esq., EARLY SULLIVAN WRIGHT GIZER & McRAE LLP Kevin S. Sinclair, SINCLAIR BRAUN LLP Janet Trost, Esq.
Scott E. Gizer, Esq.,
Sophia S. Lau, Esq.,
EARLY SULLIVAN WRIGHT
GIZER & McRAE LLP
Kevin S. Sinclair,
SINCLAIR BRAUN LLP
Janet Trost, Esq.
STIPULATION AND ORDER CONTINUING DEADLINE TO RESPOND TO THE COMPLAINT
SECOND REQUEST
DANIEL J. ALB REGTS, UNITED STATES MAGISTRATE JUDGE
COMES NOW defendant Fidelity National Title Insurance Company (“Fidelity”) and plaintiff U.S. Bank, N.A. (“U.S. Bank”), by and through their respective attorneys of record, which hereby agree and stipulate as follows:
1. On October 31, 2022, U.S. Bank filed its complaint in the Eighth Judicial District Court for the State of Nevada;
2. On November 10, 2022, Fidelity removed the instant action to the United States District Court for the State of Nevada (ECF No. 1);
3. U.S. Bank is considering voluntarily amending its complaint in this action;
4. Fidelity's response to the Complaint is currently due on January 11, 2023;
5. Counsel for the Parties request that Fidelity's deadline to respond to the complaint be extended by thirty (30) days, through and including Friday, February 10, 2023, to afford U.S. Bank additional time to consider amending its complaint;
6. The parties therefore agree and stipulate that Fidelity's deadline to respond to the complaint shall be continued through and including Friday, February 10, 2023.
7. Counsel for U.S. Bank does not oppose the requested extension;
8. This is the second request for an extension made by counsel for Fidelity, which is made in good faith and not for the purposes of delay.
9. This stipulation is entered into without waiving any of Fidelity's objections under Fed.R.Civ.P. 12.
IT IS SO STIPULATED that Fidelity's deadline to respond to the complaint is hereby continued through and including February 10, 2023.
IT IS SO ORDERED.