The opinion of the court was delivered by: Judge Burrell
Holly S. Burgess (SBN: 104757) LAW OFFICES OF HOLLY S. BURGESS 680 Auburn Folsom Road, Suite 109 Auburn, CA 95661 Telephone: (530) 889-8900 Facsimile: (530) 820-1526 firstname.lastname@example.org Attorneys for Plaintiffs JOEL HUMBURG and DAWN K. HUMBURG Christopher A. Carr (#44444) email@example.com Tim G. Ceperley (#112827) firstname.lastname@example.org ANGLIN, FLEWELLING, RASMUSSEN, CAMPBELL & TRYTTEN LLP 199 S. Los Robles Ave., Ste. 600 Pasadena, CA 91101-2459 Tel: (626) 535-1900 Fax: (626) 577-7764 Attorneys for Defendant Wells Fargo Bank, N.A., successor by merger with Wells Fargo Bank Southwest, N.A., f/k/a Wachovia Mortgage, FSB, f/k/a World Savings Bank, FSB ("Wells Fargo") (sued as Wells Fargo Bank, N.A. aka Wachovia Mortgage, a division of Wells Fargo Bank N.A. and fka Wachovia Mortgage, FSB)
JOINT STIPULATION TO CONTINUE MOTION TO DISMISS AND MOTION TO STRIKE; AND ORDER
This Stipulation is entered into by counsel for Plaintiffs JOEL AND DAWN HUMBURG ("Plaintiffs") and counsel for Defendants WELLS FARGO BANK, N.A. aka Wachovia Mortgage, a division of Wells Fargo Bank, N.A. and fka Wachovia Mortgage, FSB ("Defendants").
WHEREAS, Defendants' Motion to Dismiss and Motion to Strike are currently set for February 6, 2012;
WHEREAS, counsel for Defendants have agreed to continue the Motion to Dismiss and Motion to Strike for two weeks or to the next law and motion calendar, whichever is later, in the above titled court and department.
NOW, THEREFORE, Plaintiffs and Defendants desire and hereby STIPULATE as follows:
1. Defendants' hearing on the Motion(s) to Dismiss and Motion to Strike in this matter shall be continued to February 20, 2012, or to the next law and motion calendar date.
2. Plaintiffs shall have 14 days prior to the hearing date to respond or otherwise oppose the motion.
IT IS HEREBY ORDERED AS FOLLOWS:
1. Defendants' hearing on the Motion(s) to Dismiss and Motion to Strike in this matter shall be continued ...