The Bank of New York Mellon Trust Company, N.A. v. Fidelity National Title Group, Inc. et al, No. 2:2020cv01394 - Document 88 (D. Nev. 2023)

Court Description: ORDER Granting 87 Stipulation to extend discovery deadlines. Discovery due by 6/5/2023. Motions due by 7/5/2023. Proposed Joint Pretrial Order due by 8/4/2023. Signed by Magistrate Judge Brenda Weksler on 2/14/2023. (Copies have been distributed pursuant to the NEF - LOE)

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The Bank of New York Mellon Trust Company, N.A. v. Fidelity National Title Group, Inc. et al Doc. 88 Case 2:20-cv-01394-JCM-BNW Document 88 87 Filed 02/14/23 02/13/23 Page 1 of 6 1 2 3 4 5 6 7 8 9 WRIGHT, FINLAY & ZAK, LLP Darren T. Brenner, Esq. Nevada Bar No. 8386 Lindsay D. Dragon, Esq. Nevada Bar No. 13474 7785 W. Sahara Ave., Suite 200 Las Vegas, NV 89117 (702) 475-7967; Fax: (702) 946-1345 dbrenner@wrightlegal.net ldragon@wrightlegal.net Attorneys for Plaintiff, The Bank of New York Mellon Trust Company, N.A. f/k/a The Bank of New York Trust Company, N.A. as successor-in-interest to JPMorgan Chase Bank N.A. f/k/a JPMorgan Chase Bank, as Trustee for MASTR Adjustable Rate Mortgages Trust 2004-9, Mortgage Pass-Through Certificates, Series 2004-9 10 UNITED STATES DISTRICT COURT DISTRICT OF NEVADA 11 12 13 14 15 16 17 THE BANK OF NEW YORK MELLON TRUST COMPANY, N.A. F/K/A THE BANK OF NEW YORK TRUST COMPANY, N.A. AS SUCCESSOR-ININTEREST TO JPMORGAN CHASE BANK N.A. F/K/A JPMORGAN CHASE BANK, AS TRUSTEE FOR MASTR ADJUSTABLE RATE MORTGAGES TRUST 2004-9, MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2004-9, 18 19 20 21 22 23 Case No.: 2:20-cv-01394-JCM-BNW STIPULATION AND ORDER TO EXTEND DISCOVERY (Fourth Request) Plaintiff, vs. FIDELITY NATIONAL TITLE GROUP, INC.; CHICAGO TITLE INSURANCE COMPANY, Defendants. 24 Plaintiff, The Bank of New York Mellon Trust Company, N.A. f/k/a The Bank of New 25 York Trust Company, N.A. as successor-in-interest to JPMorgan Chase Bank N.A. f/k/a 26 JPMorgan Chase Bank, as Trustee for MASTR Adjustable Rate Mortgages Trust 2004-9, 27 Mortgage Pass-Through Certificates, Series 2004-9 (“BONY”) and Defendants, Chicago Title 28 Insurance Company (“Chicago Title”) and Fidelity National Title Group, Inc. (“Fidelity”) Page 1 of 6 Dockets.Justia.com Case 2:20-cv-01394-JCM-BNW Document 88 87 Filed 02/14/23 02/13/23 Page 2 of 6 1 (collectively, the “Parties”), by and through their counsel of record, hereby request a thirty (30) 2 day extension to the initial expert disclosure deadline in accordance with Local Rule 26-3 and 3 Local Rule IA 6-1. Counsel for BONY recently learned that its expert is no longer able to author 4 its initial expert report prior to early April 2023 due to upcoming deposition and trial conflicts, as 5 well as a university course he is teaching for the remainder of February through early March 2023. 6 As such, good cause exists to support the request for an extension to the initial expert deadline. 7 This is the Parties fourth request for an extension of time to the current discovery plan and 8 counsel submits that the request is brought in good faith, supported by good cause in compliance 9 with LR 26-3, and is not intended to cause delay. 10 A. Statement Specifying the Discovery Completed: 11 The Parties conducted the Fed. R. Civ. P. 26(f) conference on September 23, 2020. On 12 October 9, 2020, the Court entered its initial Discovery Plan and Scheduling Order [ECF No. 22]. 13 On July 23, 2021, the Court entered an Order staying the case pending the outcome of Wells 14 Fargo Bank, N.A. v. Fidelity Nat’l Title Ins. Co., Ninth Cir. Case No. 19-17332, Case No. 3:19- 15 cv-00241-MMD-WGC (Wells Fargo II) [ECF No. 63]. A Minute Order lifting the stay was 16 entered on January 11, 2022 [ECF No. 72]. On April 29, 2022, a Scheduling Order [ECF No. 74] 17 was entered. Subsequently, discovery was extended on three occasions [ECF Nos. 77, 79, 85], 18 and the current deadlines are as follows: 19 Initial expert disclosures: March 6, 2023; 20 Rebuttal expert disclosures: April 7, 2023; 21 Discovery cutoff: May 5, 2023; 22 Dispositive motions: June 5, 2023; and 23 Joint proposed pretrial order: July 5, 2023, or 30 days after resolution of dispositive motions. 24 25 26 To date, the Parties have completed the following discovery: November 6, 2020; 27 28 Chicago Title and Fidelity’s Initial Disclosure of Witnesses and Documents, BONY’s Initial Disclosure of Witnesses and Documents, November 6, 2020; Page 2 of 6 Case 2:20-cv-01394-JCM-BNW Document 88 87 Filed 02/14/23 02/13/23 Page 3 of 6 1 Chicago Title’s First Set of Interrogatories to BONY, September 30, 2020; 2 Chicago Title’s First Set of Requests for Admission to BONY, September 30, 2020; 3 4 Chicago Title’s First Set of Requests for Production to BONY, September 30, 2020; 5 6 BONY’s First Set of Interrogatories to Chicago Title, November 10, 2020; 7 BONY’s First Set of Requests for Admission to Chicago Title, November 10, 2020; 8 9 BONY’s First Set of Requests for Production to Chicago Title, November 10, 2020; 10 11 BONY’s First Set of Interrogatories to Fidelity, November 10, 2020; 12 BONY’s First Set of Requests for Admission to Fidelity, November 10, 2020; 13 BONY’s First Set of Requests for Production to Fidelity, November 10, 2020; 14 BONY’s Responses to Chicago Title’s First Set of Requests for Admission, February 5, 2021; 15 16 17 Chicago Title’s Notice of Intent to Serve Subpoena Duces Tecum to the following Entitles, February 16, 2021: 18 o Western Progressive – Nevada, Inc.; 19 o Corelogic, Inc.; 20 o Ocwen Loan Servicing, LLC; 21 o Bank of America, N.A.; 22 o Nevada New Builds, LLC; 23 o La Posada Condominium Property Owner’s Association; 24 o Kevin E. Davidson; 25 o Karen M. Davidson; 26 o ReconTrust Company, N.A.; 27 o Nevada Association Services, Inc.; 28 o Miles Bauer Bergstron & Winters, LLP; and Page 3 of 6 Case 2:20-cv-01394-JCM-BNW Document 88 87 Filed 02/14/23 02/13/23 Page 4 of 6 o Mortgage Electronic Registrations Systems, Inc. 1 2 Systems, Inc., served February 19, 2021; 3 4 Chicago Title’s Subpoena Duces Tecum to Ocwen Loan Servicing, LLC, served February 19, 2021; 5 6 Chicago Title’s Subpoena Duces Tecum to Mortgage Electronic Registrations Chicago Title’s Subpoena Duces Tecum to Federal National Mortgage Association, served July 2, 2021; 7 8 BONY’s Interrogatories to Chicago Title (re-served), July 5, 2022; 9 BONY’s Requests for Admission to Chicago Title (re-served), July 5, 2022; 10 BONY’s Requests for Production to Chicago Title (re-served), July 5, 2022; and 11 BONY’s Requests for Admission concerning genuineness of documents to Chicago Title (re-served), July 5, 2022. 12 13 2022. 14 15 BONY’s Responses to Chicago Title’s First Set of Requests for Production, October 5, 2022. 16 17 BONY’s Responses to Chicago Title’s First Set of Interrogatories, October 5, BONY’s First Supplemental Disclosure of Witnesses and Documents, October 5, 2022. 18 19 Chicago Title’s Responses to BONY’s Interrogatories, October 5, 2022. 20 Chicago Title’s Responses to BONY’s Requests for Admission, October 5, 2022. 21 Chicago Title’s Responses to BONY’s Requests for Admission concerning genuineness of documents, October 5, 2022. 22 23 Chicago Title’s Responses to BONY’s Requests for Production, October 5, 2022. 24 Chicago Title’s First Supplemental Disclosure of Witnesses and Documents, December 2, 2022. 25 26 Fidelity’s Responses to BONY’s Interrogatories, December 2, 2022. 27 Fidelity’s Responses to BONY’s Requests for Admission, December 2, 2022. 28 Fidelity’s Responses to BONY’s Requests for Production, December 2, 2022. Page 4 of 6 Case 2:20-cv-01394-JCM-BNW Document 88 87 Filed 02/14/23 02/13/23 Page 5 of 6 1 2 B. Specific Description of the Discovery that Remains to be Completed: The Parties need to conduct the following discovery: 3 The Parties’ Initial Expert Disclosure; 4 The Parties’ Rebuttal Expert Disclosure; 5 Deposition of Fed. R. Civ. P. 30(b)(6) Witness for Chicago Title; 6 Deposition of Fed. R. Civ. P. 30(b)(6) Witness for BONY; 7 Deposition of various fact witnesses and experts; and 8 Such other discovery that may be deemed necessary or appropriate. 9 C. The Reasons why the Deadline was not Satisfied or the Remaining Discovery was not 10 Completed Within the Time Limits set by the Discovery Plan: 11 BONY’s expert is unable to prepare its initial expert report prior to the current March 6, 12 2023 deadline given several upcoming deposition and trial conflicts, as well as a university course 13 he is teaching that will render him unavailable for the remainder of February through early March 14 2023. Counsel for BONY is informed that its expert is not available to prepare a report in this 15 case until early April 2023. Accordingly, the Parties request a thirty (30) day extension until 16 April 5, 2023 to the initial expert reporting deadline. In accordance with Local Rule 26-3, good 17 cause exists for an extension to the discovery deadlines as BONY’s expert is unable to prepare 18 his expert report prior to the March 6, 2023 deadline. 19 20 21 22 23 D. A proposed schedule for completing all remaining discovery. The Parties request that the current deadlines in the Stipulation and Order to Extend Discovery [ECF No. 85] be extended as follows: 1. Last Day to Disclose Initial Expert Report: currently March 6, 2023, desired April 5, 2023; 24 2. Last Day to Disclose Rebuttal Experts: currently April 7, 2023, desired May 5, 2023; 25 3. Last Day to Complete Discovery: currently May 5, 2023; desired June 5, 2023; 26 4. Last Day to File Dispositive Motions: currently June 5, 2023, desired July 5, 2023; 27 5. Last Day to File Joint Pre-Trial Order: currently July 5, 2023, desired August 4, 2023. 28 In the event dispositive motions are filed, the date for filing the joint pretrial order Page 5 of 6 Case 2:20-cv-01394-JCM-BNW Document 88 87 Filed 02/14/23 02/13/23 Page 6 of 6 1 shall be suspended until thirty (30) days after a decision of the dispositive motions. 2 The disclosures required by FRCP 26(a)(3), and any objections thereto, shall be 3 included in the pretrial order. 4 IT IS SO STIPULATED. 5 DATED this 13th day of February, 2023. DATED this 13th day of February, 2023. WRIGHT, FINLAY & ZAK, LLP SINCLAIR BRAUN LLP /s/ Lindsay D. Dragon Lindsay D. Dragon, Esq. Nevada Bar No. 13474 7785 W. Sahara Ave., Suite 200 Las Vegas, NV 89117 Attorney for Plaintiff /s/ Kevin S. Sinclair Kevin S. Sinclair, Esq. Nevada Bar No. 12277 16501 Ventura Blvd, Suite 400 Encino, California 91436 Attorneys for Defendants 6 7 8 9 10 11 12 IT IS SO ORDERED. 13 14 15 DATED: ORDER IT IS SO ORDERED UNITED STATES MAGISTRATE JUDGE DATED: 6:07 pm, February 14, 2023 16 17 18 BRENDA WEKSLER UNITED STATES MAGISTRATE JUDGE 19 20 21 22 23 24 25 26 27 28 Page 6 of 6

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