arrow left
arrow right
  • William Wiesler Plaintiff vs. Mills Mehr And Associates Inc Defendant Contract and Indebtedness document preview
  • William Wiesler Plaintiff vs. Mills Mehr And Associates Inc Defendant Contract and Indebtedness document preview
  • William Wiesler Plaintiff vs. Mills Mehr And Associates Inc Defendant Contract and Indebtedness document preview
  • William Wiesler Plaintiff vs. Mills Mehr And Associates Inc Defendant Contract and Indebtedness document preview
  • William Wiesler Plaintiff vs. Mills Mehr And Associates Inc Defendant Contract and Indebtedness document preview
  • William Wiesler Plaintiff vs. Mills Mehr And Associates Inc Defendant Contract and Indebtedness document preview
						
                                

Preview

Filing # 104798645 E-Filed 03/12/2020 03:35:21 PM IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA CASE NO: CACE-20-000215 WILLIAM WIESLER, Plaintiffs, vs. MILLS MEHR & ASSOCIATES, INC., Defendant. / DEFENDANT’S MOTION FOR EXTENSION OF TIME TO RESPOND TO PLAINTIFF’S DISCOVERY REQUESTS Defendant, MILLS MEHR & ASSOCIATES, INC., by and through their undersigned counsel, hereby files this Motion for Extension of Time to Respond to Plaintiff's, WILLIAM WIESLER, Discovery Requests, including First Set of Interrogatories and Request for Production (hereinafter collectively referred to as “Discovery Requests”), and in support thereof state as follows: 1. On or about December 31, 2019, Plaintiff filed a Complaint against Defendant. The Complaint was served upon Defendant on January 27, 2020. 2. Attached to Plaintiff's Complaint were Plaintiff's Discovery Requests. 3. Undersigned counsel requires additional time to review the relevant file materials and prepare responses to Plaintiff's Discovery Requests. 4. Neither party would be prejudiced if Defendant is granted a brief extension of time in which to respond to Plaintiff's Discovery Requests. *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 03/12/2020 03:35:21 PM.****5. Defendant requests that this Honorable Court grant an enlargement of time for Defendant to file responses to Plaintiff's Discovery Requests. 6. This request for extension is brought in good faith and is not for the purpose of delay. WHEREFORE, Defendant, MILLS MEHR & ASSOCIATES, INC., respectfully move this Honorable Court to grant Defendant’s Motion for Extension of Time to Respond to Plaintiff's Discovery Requests and grant any other relief this Court deems just and proper. CERTIFICATE OF SERVICE WE HEREBY CERTIFY that on the 12th day of March, 2020 we electronically filed the foregoing document. We also certify that the foregoing document is being served this day on Nicholas J. Reising, Jr., Esquire, Loughren, Doyle & Reising, P.A., 1900 N.W. Corporate Boulevard, Suite E205, Boca Raton, Florida 33431 respectively at pleadings@loughren-doyle.com by the Florida Courts E-Filing Portal, or in some other authorized manner for those counsel or parties who are not authorized to receive electronic Notices of Electronic Filing. TorresVictor Post Office Box 2849 West Palm Beach, Florida 33402 Telephone (561) 510-4855 Service Email: Eservice@torresvictor.com By: /s/ Anna D. Torres Anna D. Torres, Esquire Florida Bar No.: 074837