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  • Lisa Williams Plaintiff vs. Publix Super Markets, Inc. Defendant 3 document preview
  • Lisa Williams Plaintiff vs. Publix Super Markets, Inc. Defendant 3 document preview
  • Lisa Williams Plaintiff vs. Publix Super Markets, Inc. Defendant 3 document preview
  • Lisa Williams Plaintiff vs. Publix Super Markets, Inc. Defendant 3 document preview
						
                                

Preview

Filing# 155214703 E-Filed 08/12/2022 11:55:36 AM LISA WILLIAMS IN THE CIRCUIT COURT OF THE SEVENTEENTH JUDICIAL CIRCUIT IN Plaintiff, AND FOR BROWARD COUNTY, FLORIDA V CIRCUIT CIVIL DIVISION PUBLIX SUPER MARKETS, INC., CASE NO.: CACE-21-010699 Defendant. I MOTION TO BE EXCUSED FROM PLAINTIFF'S FIRST, SECOND AND THIRD WEEK OF THE TRIAL PERIOD LISA WILLIAMS, by and through undersigned counsel, hereby Plaintiff, files this Motion to be Excused from the First,Second and Third Week ofthe Trial Period commencing August 29, 2022, and in support ofthis motion Plaintiff states as follows: 1. This case is set for jury trial duringthe Court's four-week trial period commencing August 29,2022. 2. Plaintiff's counsel, Ronald Simon, will be out-of-town on a pre-paidvacation from August 29,2022 through September 9,2022. 3 Moreover, Plaintiff's counsel was justnotified that they are now set number one Martin County from August 22,2022 through August 26,2022. 1 for trial in 4. Plaintiff's counsel, Kyle Quintana, will be out-of-town on a pre-paidvacation from September 15,2022 through September 18,2022. 5. Due to the foregoing,Plaintiffmoves to be excused from the first, second and third week of the trial period. 6. This motion is being made in good faith,and not for the purposes of delay. 1 Plaintiff has filed a Notice of Trial Conflict in addition to the underlying Motion. *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 08/12/2022 11:55:36 AM.**** LISA WILLIAMS, hereby requests that this Honorable Court WHEREFORE, the Plaintiff, grant this motion and excuse Plaintiff from the first, second and third week ofthe trial period,and and proper under the circumstances. grant any other reliefjust CERTIFICATE OF SERVICE WE HEREBY CERTIFY that a true and correct copy of the foregoingwas served via E- Mail this 12111day of August, 2022 to: Kerri E. Utter, Esq., and Florence M. Andalib, Esq., Attorneysfor Defendant, Publix Super Markets Inc., South Florida LitigationLaw Office, 6933 West Broward Blvd.,Plantation,Florida 33317, Telephone:(954) 991-6485/Facsimile: (863)284- 3327/E-mail Designation: kerri.utter@publix.com; florence.andalib@publix.com; angel.taylorcampbell@publix.com; talia.sweeting@publix.com SIMON TRIAL FIRM Attorneys for Plaintiff 2601 S. Bayshore Drive, Suite 1010 Miami, Florida 33133 Telephone: (305) 375-6500 Facsimile: (305) 375-0388 Email: Pleadings@simon-trial.com By: /s/ Kvle A.Quintana RONALD M. SIMON, ESQ. Florida Bar No.: 165262 KYLE A. QUINTANA, ESQ. Florida Bar No- 1003110 -2- SIMON TRIAL FIRM, ATTORNEYS AT LAW