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McDermed v. Wells Fargo Home Mortgage

United States District Court, Ninth Circuit

May 1, 2013

PAUL McDERMED; JULIE McDERMED; SHARON GOLDFINCH; DUWARREN GIBSON; MARIE MARCANTONIO, and FRANCISCA 1 EJALE; individually and on behalf of all others similarly situated, Plaintiffs,
v.
WELLS FARGO HOME MORTGAGE; WELLS FARGO BANK, N.A.; WORLD SAVINGS, INC.; WORLD SAVINGS BANK, FSB; WACHOVIA MORTGAGE, FSB, NOW KNOWN AS WACHOVIA MORTGAGE, A DIVISION OF WELLS FARGO BANK, N.A.; WACHOVIA CORPORATION; GOLDEN WEST FINANCIAL CORPORATION; WACHOVIA BANK, FSB, FORMERLY KNOWN AS WORLD SAVINGS BANK, FSB TX; and WACHOVIA MORTGAGE CORPORATION, Defendants.

LOCKE LORD LLP Regina J. McClendon, (CA SBN 184669), Jonathan S. Lieberman (CA SBN 278058), San Francisco, CA.

LOCKE LORD LLP, Robert T. Mowrey (pro hac vice application to follow) Jason L. Sanders (CA SBN 230245), Dallas, TX.

ANGLIN, FLEWELLING, RASMUSSEN, CAMPBELL & TRYTTEN LLP, Mark T. Flewelling (CA SBN 96465), Jeremy E. Shulman (CA SBN 257582), Yaw-Jiun (Gene) Wu (CA SBN 228240), Pasadena, CA. Attorneys for Defendants WELLS FARGO HOME MORTGAGE, a Division of 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, and successor by merger with WACHOVIA MORTGAGE CORPORATION; WORLD SAVINGS, INC.; WELLS FARGO BANK SOUTH CENTRAL, N.A., successor by merger with WACHOVIA BANK, FSB, f/k/a WORLD SAVINGS BANK, FSB (TEXAS); and WELLS FARGO & COMPANY, successor by merger with WACHOVIA CORPORATION, which was successor by merger with GOLDEN WEST FINANCIAL CORPORATION

BERNS WEISS LLP, Lee A. Weiss, Attorneys for Plaintiffs, PAUL MCDERMED; JULIE MCDERMED; SHARON GOLDFINCH; DUWARREN GIBSON; MARIE MARCANTONIO, and FRANCISCA EJALE

STIPULATION REGARDING PROPOSED BRIEFING SCHEDULE; [PROPOSED] ORDER THEREON

SUSAN ILLSTON, District Judge.

The parties, by and through their counsel of record, hereby enter into the stipulation below concerning the response to Plaintiffs' Complaint and the briefing schedule and hearing date for any motion to dismiss and/or motion to strike. This stipulation is based on the following:

A. Plaintiffs filed their Class Action Complaint on March 29, 2013 (Dkt. 1).

B. Because of the complexity of the factual and legal issues raised in the Complaint, the parties desire that the Court set the briefing schedule set forth below.

The parties hereby stipulate:

1. Defendants shall respond to the complaint on or before May 24, 2013;

2. Plaintiffs shall file an opposition to Defendants motion(s) on or before June 21, 2013; and

3. Defendants shall file a reply brief on or before July 12, 2013.

4. The motion(s) filed in response to the Complaint shall be heard on July 26, 2013 at 9:00 a.m., or as otherwise set by the Court.

5. The initial case management conference shall be continued from June 28, 2013 at 2:30 p.m. to July 26, 2013 at 9:00 a.m., to be heard with the motion to dismiss and/or motion to strike.

[PROPOSED] ORDER

Pursuant to the stipulation, IT IS SO ORDERED.


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