ORDER

23F-248-REL-1 · Department of Real Estate · 2025-08-13

IN THE OFFICE OF ADMINISTRATIVE HEARINGS

In the Matter of the Real Estate Activities of:

Davila Property Solutions, LLC, an unlicensed entity,

and

Sandra Tow, holder of license number BR508289000,

Petitioners.

No. 23F-248-REL-1

No. 23F-248-REL-2

ORDER

On August 13, 2025, Petitioners submitted a Motion to Continue for a hearing scheduled to convene on August 14, 2025. Before the Office of Administrative Hearings, Motions are governed by A.A.C. R2-19-106, which requires all Motions to be submitted at least 15 days before the hearing unless good cause for untimely filing is demonstrated. While Petitioners’ ailments may be good cause for a continuance, Petitioners’ Motion did not attempt to demonstrate good cause as to timeliness.

On August 13, 2025, the Department submitted a Notice of Intent to file an objection.

IT IS ORDERED the parties must attempt to meet and confer before 2:00 PM on August 13, 2025.

IT IS ORDERED the Department may submit a formal objection and Petitioners may submit a statement of good cause.

IT IS ORDERED unless the parties reach an agreement, the hearing will convene at the set time and will begin with arguments about the Motion, focusing on potential harm and prejudice to the parties and their interests. The parties, their representatives, and their witnesses are authorized to appear virtually on Google Meet:

Meeting ID: meet.google.com/tzq-hzoi-tzb

Phone Numbers: 385-404-0130

PIN: 791 946 508#

Done this day, August 13, 2025.

/s/ Samuel Fox

Administrative Law Judge

Transmitted by either mail, e-mail, or facsimile to:

Susan Nicolson, Commissioner

Arizona Department of Real Estate

[email redacted]

[email redacted]

[email redacted]

[email redacted]

[email redacted]

[email redacted]

[email redacted]

Davila Property Solutions LLC

c/o Raymond P Bouchard III

[email redacted]

Lynette Evans, Esq.

Office of the Attorney General

Public Law Section

[email redacted]

Sandra Tow

[email redacted]

Robert D. Stachel, Jr.

Stachel & Associates , P.C

[email redacted]

By: OAH Staff