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  • CITIBANK N.A. vs. LINDBLAD, ROBERT SMALL CLAIMS $2,500.01-$5,000 document preview
  • CITIBANK N.A. vs. LINDBLAD, ROBERT SMALL CLAIMS $2,500.01-$5,000 document preview
  • CITIBANK N.A. vs. LINDBLAD, ROBERT SMALL CLAIMS $2,500.01-$5,000 document preview
  • CITIBANK N.A. vs. LINDBLAD, ROBERT SMALL CLAIMS $2,500.01-$5,000 document preview
						
                                

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Filing # 132557668 E-Filed 08/12/2021 01:45:42 PM IN THE COUNTY COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA CASE NO.: 2021 SC 003946 SP CITIBANK N.A., Vv. Plaintiff, ROBERT O LINDBLAD, Defendant. / DEFENDANT’S AMENDED (AS TO TIME OF HEARING) UNOPPOSED MOTION TO WAIVE OR IN THE ALTERNATIVE CONTINUE THE PRETRIAL CONFERENCE SET FOR AUGUST 20, 2021 AT 12:45 P.M. COMES NOW, Defendant, ROBERT O LINDBLAD, hereby moves this Court to waive, or in the alternative continue, the Pretrial Conference set for August 20, 2021, at 12:45pm, and in support states the following: 1. 2. The undersigned Counsel for the Defendant has surgery scheduled for August 19, 2021. The Defendant is unable to attend as he is set to travel via plane out of the state. He purchased his tickets prior to being served with this lawsuit. The undersigned Counsel for the Defendant is on maternity leave until November 1, 2021, however, the Defendant is a long standing client. Plaintiff will not be prejudiced if the Pretrial Conference is waived or continued. Plaintiff agrees to waive or continue the pretrial conference. The parties are actively working towards settlement. This motion to was not filed for the purpose of delay.WHEREFORE, Defendant, ROBERT O LINDBLAD, respectfully requests the Court to waive, or in the alternative continue, the Pretrial Conference set for August 20, 2021, at 12:45pm and for all other relief deemed just and proper. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished on August 12, 2021, via filing with the Florida Courts E-Filing Portal to the following: Drew Linen, Esq. at service@raslavrar.com. /s/ Sarah EF. Flores, Esq. Sarah E. Flores, Esq. Florida Bar No.: 99756 5931 Brick Court, Suite 166 Winter Park, FL 32792 Tel.: (407) 672-1260 E-service: Eserve@floridadebtdefender.com