STIPULATION TO EXTEND TIME TO APRIL 9, 2010 FOR DEFENDANT UNITED WESTERN BANK TO RESPOND TO THE SECOND AMENDED COMPLAINT
Defendant United Western Bank (f/k/a/ Matrix Capital Bank), a federal savings bank, duly chartered under the laws of the United States of America (erroneously designated a Colorado corporation ("UWB" or "Defendant"), by and through its undersigned counsel, in order to stipulate that UWB shall have until April 9, 2010 to answer, move or otherwise respond to plaintiffs' Second Amended Complaint (Docket #267], state as follows:).
WHEREAS, Plaintiffs filed their Second Amended Complaint on March 3, 2010, pursuant to the Court's February 3, 2010 Order [Docket #264];
WHEREAS, pursuant to Fed. R. Civ. P. 15(a)(1)(3), UWB's response to the Second Amended Complaint was due on March 17, 2010;
WHEREAS, the parties previously stipulated to extend the time for UWB to answer, move or otherwise respond to Plaintiffs' Second Amended Complaint to March 24, 2010 [Docket #268];
WHEREAS, by agreement of counsel for UWB and counsel for Plaintiffs, the parties have stipulated that UWB may have an additional extension of time, up to and including April 9, 2010, to answer, move, or otherwise respond to the Second Amended Complaint; and
WHEREAS, the extension will not affect any dates set by the Court in this matter,
THEREFORE, UWB and Plaintiffs respectfully stipulate that UWB be permitted to answer, move or otherwise respond to Plaintiffs" Second Amended Complaint by April 9, 2010.
GREENBERG TRAURIG, LLP William J. Goines Attorney for Defendant United Western Bank (F/K/A/ Matrix Capital Bank)
HOLLISTER & BRACE Robert L. Brace Michael P. Denver 1126 Santa Barbara St. P.O. Box 630 Santa Barbara, CA 93102 Telephone: (805) 963-6711 Facsimile: (805) 965-0329 Email: firstname.lastname@example.org
Thomas G. Foley, Jr., Esq. FOLEY, BEZEK, BEHLE & CURTIS, LLP 15 W. Carillo St. Santa Barbara, CA 93101 Telephone: (805) 962-9495 Facsimile: (805) 962-0722 Email: email@example.com Attorneys for the Hunter Plaintiffs and the Class
Anthony R. Zelle, Esq. Brian McDonough, Esq. ZELLE, McDONOUGH & COHEN LLP 101 Federal Street, 14th Fl. Boston, MA 02110 Telephone: (617) 742-6520, x 219 Facsimile: (617) 742-1393 Email: firstname.lastname@example.org Attorneys for Plaintiffs Quirk Infiniti, Inc. and the Class
I, William J. Goines, am the ECF User whose ID and password are being used to file this STIPULATION TO EXTEND TIME TO APRIL 9, 2010 FOR DEFENDANT UNITED WESTERN BANK TO RESPOND TO THE SECOND AMENDED COMPLAINT. In compliance with General Order 45, X.B., I ...