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Filing# 135779368 E-Filed 10/01/2021 04:56:25 PM
IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT
IN AND FOR BROWARD COUNTY, FLORIDA
GENERAL CIVIL DIVISION
Case No. CACE-20-020926
DAMIAN CAPERA,
Plaintiff.
V
BOARDWALK
AT
VIZCAYA
CONDOMINIUM ASSOCIATION, INC.,
Defendant.
i
DEFENDANT'S MOTION FOR FURTHER ENLARGEMENT OF TIME TO RESPOND
TO DISCOVERY
Defendant, BOARDWALK AT VIZCAYA CONDOMINIUM ASSOCIATION, INC.
("Defendant"),pursuant to the Florida Rules of Civil Procedure, hereby moves for a further
enlargement oftime to respond to Plaintiff,
DAMIAN CAPERA'S ("Plaintiff'),
First Request for
Production and First Set of Interrogatories
(collectively,
the "Discovery")served on Defendant in
this action,and as grounds states:
1.
Defendant was served with the Discovery on March 31, 2021.
2.
Defendant timely filed motions for enlargement of time to respond to the
Discovery, includingas to any objections.The responses, includingas to any objections,are
currentlydue on October 1,2021.
3
Due to the need to perform further work and consultation necessary to prepare
Defendant's responses to the Discovery, Defendant seeks a further enlargement of time of thirty
*** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 10/01/2021 04:56:24 PM.****
(30)days to respond to the Discovery,includingas to any objections,
to and includingOctober 31,
2021. 1
4.
This Motion is not brought for purposes of harassment or delay and no party will
be prejudicedifthis Motion is granted.
WHEREFORE, for the foregoingreasons, Defendant respectfullyrequests the entry ofan
order grantingthis motion and providing Defendant an additional thirty(30) days to respond to
the Discovery,includingas to any objections,to and includingOctober 31, 2021, and for such
other and further relief as the Court deems justand appropriate.
By:
INJMy F.Bogert
JeffreyF. Bogert,Esquire
Florida Bar No: 0033601
MCGUINNESS & CICERO
1000 Sawgrass CorporateParkway, Suite 590
Sunrise,Florida 33323
Telephone: 954-626-5073
Primary E-mail:
jeffrey.bogert@mc-ate.
com
Dax.dietiker@mc-ate.com
Secondary E-mail:
eservice@dmc-atty.com
laureengerard@mc-atty.
com
Attorneysfor Boardwalk at Vizcaya Condominium
Assoc.,Inc.
1
October 31, 2021 is a Sunday.
2
CERTIFICATE OF SERVICE
I certifythat on October 1,2021, I electronically
filed the foregoingdocument through the
Florida Courts E-FilingPortal and that the Portal was used as a means of service of this document
on this day by email upon:
Matthew J. Militzok. Esq.
Humberto Rubio, Esq.
MILITZOK & ASSOCIATES, P.A. D/B/A
LAW FIRM OF RUBIO & ASSOCIATES, PA
THE MOLD LAWYERS
8950 SW 74 Ct, Suite 1804
3230 StirlingRoad
Miami, Florida 33156
Hollywood, Florida 33021
hrubio@rubiolegal.com
mjm@malawfl.com
service@malawfl.com
CounselM Defendant, Boardwalk at Vizcaya
Counsel for Plaintiff,
Damian Capera
Condominium Association, Inc.
By: /s/Jeffrey
F. Bogert
JeffreyF. Bogert, Esquire
Florida Bar No: 0033601
3