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Case 5:16-cv-01518-JGB-DTB Document 22 Filed 08/10/16 Page 1 of 3 Page ID #:157

1 GREEN & HALL, LLP


HOWARD D. HALL, State Bar No. 145024
2 hdhall@greenhall.com
RACHEL C. ZWERNEMANN, State Bar No. 286515
3 rzwernemann@greenhall.com
1851 East First Street, 10th Floor
4 Santa Ana, California 92705-4052
Telephone: (714) 918-7000
5 Facsimile: (714) 918-6996
6 Attorneys for Defendants
The Bank of New York Mellon as Trustee
7 for Structured Asset Mortgage
Investments II Inc. Mortgage Pass-
8 Through Certificate Series 2005-AR8 and
Nationstar Mortgage LLC (erroneously
9 sued as Nation star Mortgage)
10 UNITED STATES DISTRICT COURT
11 CENTRAL DISTRICT OF CALIFORNIA, EASTERN DIVISION
12
13 Socorro Diaz & Francisco Diaz, CASE NO. 5:16-cv-01518 JGB(DTBx)
14 Plaintiffs, JUDGE: Hon. Jesus G. Bernal
CTRM.: 1
15 vs.
NOTICE OF INTERESTED
16 GB Inland Properties, LLC and/or Its ENTITIES OR PERSONS
Successors and/or Assignees In Interest;
17 The Bank of New York Mellon as
Trustee for Structured Asset Mortgage ACTION FILED: July 12, 2016
18 Investments II, Inc., Mortgage Pass TRIAL DATE: None Set
thorough Certificates Series2005-AR8;
19 Nation star Mortgage; Continental HL-
011 Trust; Rafael Perez; Quality Loan
20 Servicing, Platinum Capital Group and
Does 1 through 100 Inclusive,
21
Defendants.
22
23 Pursuant to Central District of California Civil L.R. 7.1-1, the undersigned
24 certifies that the following listed persons, associations of persons, firms,
25 partnerships, corporations (including parent corporations) or other entities: (i) have a
26 financial interest in the subject matter in controversy or is a party to the proceeding,
27 or (ii) have a non-financial interest in that subject matter or in a party that could be
28 substantially affected by the outcome of this proceeding. These representations are
Case No. 5:16-cv-01518 JGB(DTBx)
NOTICE OF INTERESTED ENTITIES OR PERSONS
P:\DOCS\Nationstar.Diaz(Francisco)\Pleadings\Ntc.Interested.Entities.docx
Case 5:16-cv-01518-JGB-DTB Document 22 Filed 08/10/16 Page 2 of 3 Page ID #:158

1 made to enable the Court to evaluate possible disqualification or recusal.


2 1. The Bank of New York Mellon as Trustee for Structured Asset
3 Mortgage Investments II Inc. Mortgage Pass-Through Certificate Series 2005-AR8.
4 2. Nationstar Mortgage LLC ("Nationstar") is an indirect, wholly-owned
5 subsidiary of a publicly-traded company, Nationstar Mortgage Holdings Inc. ("NSM
6 Holdings"), a Delaware corporation.
7 Nationstar is directly owned by two entities: (1) Nationstar Sub1 LLC
8 ("Sub1") (99%) and (2) Nationstar Sub2 LLC ("Sub2") (1%). Both Sub1 and Sub2
9 are Delaware limited liability companies. Sub1 and Sub2 are both 100% owned by
10 NSM Holdings.
11 The stock of NSM Holdings is owned approximately 64% by FIF HE
12 Holdings LLC, a Delaware limited liability company, and approximately 36% by
13 public stockholders.
14
15 DATED: August 10, 2016 GREEN & HALL, LLP
16
17
By: /s/ Rachel C. Zwernemann
18
Howard D. Hall
19 Rachel C. Zwernemann
20 Attorneys for Defendants
The Bank of New York Mellon as Trustee for
21 Structured Asset Mortgage Investments II Inc.
22 Mortgage Pass-Through Certificate Series 2005-
AR8 and Nationstar Mortgage LLC
23 (erroneously sued as Nation star Mortgage)
24
25
26
27
28
2 Case No. 5:16-cv-01518 JGB(DTBx)
NOTICE OF INTERESTED ENTITIES OR PERSONS
P:\DOCS\Nationstar.Diaz(Francisco)\Pleadings\Ntc.Interested.Entities.docx
Case 5:16-cv-01518-JGB-DTB Document 22 Filed 08/10/16 Page 3 of 3 Page ID #:159

1 CERTIFICATE OF SERVICE
2 I am employed in the County of Orange, State of California. I am over the
age of 18 and not a party to the within action. My business address is 1851 East
3 First Street, 10th Floor, Santa Ana, CA 92705-4052.
4 On August 10, 2016, I served the within document(s) described as:
5 NOTICE OF INTERESTED ENTITIES OR PERSONS
6 on each interested party in this action as stated below:
7 Francisco Diaz
Socorro Diaz
8 3891 Fox Tail Lane
Riverside, CA 92509
9 (951) 733-3401
Plaintiffs in Pro Per
10
BY MAIL: By placing a true copy of the foregoing document(s) in a sealed
11 envelope addressed as set forth above. I placed each such envelope for collection
and mailing following ordinary business practices. I am readily familiar with this
12 Firm’s practice for collection and processing of correspondence for mailing. Under
that practice, the correspondence would be deposited with the United States Postal
13 Service on that same day, with postage thereon fully prepaid at Santa Ana,
California, in the ordinary course of business. I am aware that on motion of the
14 party served, service is presumed invalid if postal cancellation date or postage meter
date is more than one day after date of deposit for mailing in affidavit.
15
I declare under penalty of perjury under the laws of the United States of
16 America that the foregoing is true and correct and that I am employed in the office
of a member of the bar of this Court at whose direction the service was made.
17
Executed on August 10, 2016, at Santa Ana, California.
18
19
/s/ Rebecca Vogel
20 Rebecca Vogel
21
22
23
24
25
26
27
28
Case No. 5:16-cv-01518 JGB(DTBx)
NOTICE OF INTERESTED ENTITIES OR PERSONS
P:\DOCS\Nationstar.Diaz(Francisco)\Pleadings\Ntc.Interested.Entities.docx

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