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  • U S BANK NATIONAL ASSOCIATION vs WESLEY A QUINN MORTGAGE FORECLOSURE document preview
  • U S BANK NATIONAL ASSOCIATION vs WESLEY A QUINN MORTGAGE FORECLOSURE document preview
  • U S BANK NATIONAL ASSOCIATION vs WESLEY A QUINN MORTGAGE FORECLOSURE document preview
  • U S BANK NATIONAL ASSOCIATION vs WESLEY A QUINN MORTGAGE FORECLOSURE document preview
						
                                

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ELECTRONICALLY FILED COURT OF COMMON PLEAS Tuesday, February 16, 2010 4:34:01 PM CASE NUMBER: 2007 CV 09571 Docket ID: 14798754 GREGORY A BRUSH CLERK OF COURTS MONTGOMERY COUNTY OHIO IN THE COMMON PLEAS COURT OF MONTGOMERY COUNTY, OHIO CIVIL DIVISION U.S. Bank N.A. as Trustee, CASE NO. 2007-CV-9571 Plaintiff JUDGE Connie S. Price -v- Magistrate: David. H. Fuchsman Wesley A. Quinn, et al, DEFENDANTS’ REQUEST FOR EXTENTSION OF TIME TO FILE Defendants. OBJECTION TO MAGISTRATE’S DECISION PURSUANT TO CIVIL RULE 53. Now comes the Defendants, Wesley and Marion Quinn by and through their unsigned counsel, and hereby moves this Honorable Court for an additional seven (7) days to file an objection to the Magistrate’s decision entered on February 10, 2010 pursuant to Civil Rule 53. In support, the Quinn’s state the following: Defendant will need to do additional research to supplement their objection and as such request an extension of seven (7) days. Wherefore, for the foregoing reasons, Defendant respectfully requests that this Honorable Court grant it an additional seven (7) days within which to file their formal objection and allow the Defendant to fully defend against the decision made therein. Respectfully submitted, \s\ Randall J. Smith__________ Randall J. Smith, #0000079 Attorney for Wesley and Marion Quinn Miami Valley Fair Housing Center Inc. 21-23 E. Babbitt Street Dayton, Ohio 45405 Phone: (937) 660-8015 Fax: (937) 223-6279 CERTIFICATE OF SERVICE I hereby certify that on January 16, 2010 I electronically filed the foregoing with the Clerk of the Court using the CM>ECF system which will send notification of such filing to the following: Craig A. Thomas Attorney for Plaintiff P.O. Box 5480 Cincinnati, OH 45201 Deanna C. Stoutenborough Rick D. Deblasis Co-Counsel for Plaintiff One East Fourth Street 25-C860A Cincinnati, OH 45202 Chase Home Finance 3rd Party Defendant 3415 Vision Drive Columbus, OH 43219