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  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
  • Strike X LLC Plaintiff vs. Village At Gulfstream Park, LLC , et al Defendant Contract and Indebtedness document preview
						
                                

Preview

Filing# 149694102 E-Filed 05/16/2022 08:14:04 PM INTHE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA COMPLEX LITIGATION DIVISION CASE NO.: CACE-21-16240 STRIKE X, LLC, Plaintiff. VS. THE VILLAGE AT GULFSTREAM PARK, LLC, Defendant. i DEFENDANT'S NOTICE OF TAKING DEPOSITION OF THE CORPORATE REPRESENTATIVE OF STRIKE X, LLC PLEASE TAKE NOTICE that the undersignedattorneys will take the depositionof the followingnamed deponent: Deponent Date Location The Corporate Representative June 31,2022 Greenberg Traurig,P.A. of Strike X, LLC At 10-00 am 1 333 SE 2ind Avenue Suite 4400 Miami, FL 33131 Pursuant to Fla. R. Civ. P. 1.310(b)(6), Strike X, LLC shall designateand produce one or more of its officers,directors,managing agents, or other persons who are knowledgeable and on consent to testify its behalf with respect to each of the followingsubjectmatters: of deponent and counsel for Plaintiff and Defendant. 1i 1Date subject to change pursuant to availability 1 *** FILED: BROWARD COUNTY, FL BRENDA D. FORMAN, CLERK 05/16/2022 08:14:04 PM.**** 2 1. The factual set forth in the Complaint and allegations all exhibits to the Complaint. 2. The lease agreement entered into between the partieson July 22, 2013 (1505 Lease") and Strike X's use ofthat space. 3 The 1700 Lease entered into between the partieson August 5,2020. 4. All documents prepared in connection with or in reliance on the 1700 Lease. 5. All documents and communications pertaining to the solicitation and/or negotiation of the 1700 Lease. 6. All documents and communications between You and anyone at Gulfstream pertainingto the 1700 Lease. 7. All Documents and Communications between You and Alan Shaw. 8. All documents and communications internally at Strike X or to any third party, includingbut not limited to consultants,agents, lenders,or brokers pertainingto the 1700 Lease. 9- Strike X's business plansfor the 1700 space. 10. All documents and communications reflecting any payments made from Strike X to Gulfstream in connection with the 1700 Lease. 11. All documents and communications reflecting any payments made from Strike X to any other individual or entityin connection with or in reliance of the 1700 Lease. 12. The allegationthat You suffered and "continue to suffer" actual damages in connection with the 1700 Lease. 13. Your allegedentitlement to attorneys'fees. 2 terms not defined herein shall have the definition used in Defendant's First Request for Production All capitalized to Plaintiff. 2 14. Your actual claimed damages, includingbut not limited to dollar amounts of lost consequential,incidental,and/or specialdamages, profits, all out-of-pocketexpenses, and the calculations to support these numbers. 15. Any and all of Your Knowledge that Plaintiff"substantially performed under the Lease by timely doing everythingthat was requiredof it." 16. Any and all of Your Knowledge that Defendant has failed to exercise reasonable diligenceand promptness in undertaking and completing its work in connection with the 1700 Lease. 17. Any and all of Your Knowledge that Defendant has failed to exercise reasonable diligenceand care in carryingout its work as it relates to the Property. 18. Your knowledge that Defendant expressly repudiated the Lease and failed to comply with the terms o f the 1700 Lease. 19. The work performed by You or any third partiesin connection with the 1700 Lease. 20. Any efforts undertaken by You or any third partiesto mitigateYour damages in connection with the 1700 Lease. 21. Your alleged entitlement to specificperformance in connection with the 1700 Lease. 22. Any and all of Your knowledge that Defendant has "engaged in unlawful and unfair methods of sale and competition" or "unfair or deceptive acts or practicesin the conduct of trade .. or commerce. 23. Any and all of Your knowledge that Defendant has engaged in "unconscionable acts or practices." 3 The depositionwill be taken before a notary public or some other officer duly authorized to administer oaths by the laws ofthe United States. The depositionwill continue day to day until completed. The depositionwill be recorded by stenographicmeans. The court reporter shall be Lance W. Steinbeisser,RPR CSR FPR, of Steinotype (or another qualifiedreporter from Steinotype)and his email address is The deponent is reminded to bring to the depositionphoto identification or such other satisfactory evidence of identification. The depositionis being taken for the purpose of discovery,for use at or for such other purposes trial, as are permittedunder the rules of Court. In accordance with the Americans with Disabilities Act of 1990, persons needing special accommodation to participatein this proceeding,the need for a translator,should contact Michael N. Kreitzer, Esq., no later than seven (7) days prior to this proceeding; ifhearing impaired, telephonethe Florida Relay Service number at 1-800-955-8771 for assistance. PLEASE GOVERN YOURSELVES ACCORDINGLY. Respectfullysubmitted, GREENBERG TRAURIG, P.A. nd 333 S.E. 2r Avenue, Suite 4400 Miami, Florida 33131 Telephone: (305) 579-0519 Facsimile: (305) 579-0717 By: s/Michael N. Kreitzer Michael N. Kreitzer, Esq. Florida Bar No. 705561 kreitzerm@gtlaw.com belloy@gtlaw.com flservice@gtlaw.com Jennifer J. Junger, Esq. Florida Bar No. 125853 jungerj@gtlaw.com fernandezfe@gtlaw.com Jordanna Ishmael, Esq. Florida Bar No. 1011647 ishmaelj@gtlaw.com 4 abrahamd@gtlaw.com Attorneysfor Village at Gulfstream Park, LLC CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy o f the foregoinghas been served by e-mail generatedby the Florida Court E-FilingPortal,this 16th day of May 2022, on: ZARCO EINHORN SALKOWSKI & BRITO, P.A. One Biscayne Tower 2 South Biscayne Boulevard, 34th Floor Miami, Florida 33131 Telephone: (305) 374-5418 Facsimile: (305) 374-5428 Robert Zarco Florida Bar No. 502138 rzarco@zarcolaw.com Robert F. Salkowski Florida Bar No. 903124 rsalkowski@zarcolaw.com acoro@zarcolaw.com Mary Nikezic Florida Bar No. 92928 mnikezic@zarcolaw.com eservice@zarcolaw.com Colby Conforti Florida Bar No. 92928 cconforti@zarcolaw.com eservice@zarcolaw.com By: s/Michael N. Kreitzer 5