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  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
  • WELLS FARGO BANK vs. UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS HOMESTEAD RESIDENTIAL FORECLOSURE $250,001 AND UP document preview
						
                                

Preview

Filing # 183423351 E-Filed 10/06/2023 02:30:34 PM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA CIVIL ACTION WELLS FARGO BANK, N.A, Plaintiff, CASE NO.: 2023 CA 003228 MF vs. DIVISION: 39 RAMON CARTAGENA, et al, Defendant(s). __________________________/ PLAINTIFF’S MOTION FOR ENLARGEMENT OF TIME TO RESPOND TO DEFENDANTS’ DISCOVERY REQUESTS Plaintiff, WELLS FARGO BANK, N.A, by and through its undersigned attorney, hereby files Plaintiff’s Motion for Enlargement of Time to Respond to Defendants’, Ramon Cartagena and Unknown Party #1 N/K/A Tommy Cartagena, Discovery Requests and states the following in support of such motion: 1. Plaintiff requires additional time to adequately respond to Defendant’s Request for Production. 2. Pursuant to Fla.R.Civ.P. rule 1.350(b), the Court has the discretion to enlarge the time to respond to propounded discovery. 3. Plaintiff is bringing this motion in good faith and not for purposes of delay. 4. Defendants will suffer no prejudice from enlarging the time to respond to discovery requests. WHEREFORE Plaintiff requests this Honorable Court enlarge the time to file a response to Defendant’s Discovery Requests. Dated: October 6, 2023 By: /s/ Justin Ritchie Florida Bar No. 106621 Albertelli Law P O Box 23028 Tampa, FL 33623 (813) 221-4743 (866) 606-5136 – Judge Line eService: servealaw@albertellilaw.com CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by U.S. Mail or by eService to all parties listed on the attached service list on this 6th day of October 2023. By: /s/ Justin Ritchie Florida Bar No. 106621 SERVICE LIST RAMON CARTAGENA C/O AYANA CRUZ, ESQ. 2100 CONSTITUTION BOULEVARD SUITE 116 SARASOTA, FL 34231 E-SERVE 1: ESERVICE@VANSTONELAW.COM E-SERVE 2: ACRUZ@VANSTONELAW.COM TOMMY M. CARTAGENA C/O AYANA CRUZ, ESQ. 2100 CONSTITUTION BLVD. SUITE 116 SARASOTA, FL 34231 E-SERVE 1: ACRUZ@VANSTONELAW.COM EAGLE BAY OF OSCEOLA COUNTY HOMEOWNERS’ ASSOCIATION, INC C/O CRYSTAL MAIER 448 SOUTH ALAFAYA TRAIL UNIT 8 ORLANDO, FL 32828 E-SERVE 1: CRYSTAL@DHNATTORNEYS.COM UNITED STATES OF AMERICA ACTING THROUGH SECRETARY OF VETERANS AFFAIRS C/O U.S. ATTORNEY 400 NORTH TAMPA STREET SUITE 3200 TAMPA, FL 33602 TD BANK USA, N.A. C/O PRESIDENT OR VICE PRESIDENT 2035 LIMESTONE RD WILMINGTON, DE 19808 MIDLAND FUNDING LLC C/O MIDLAND CREDIT MANAGEMENT, INC, R.A. 13008 TELECOM DRIVE SUITE 350 TAMPA, FL 33637 EAGLE BAY OF OSCEOLA COUNTY MASTER ASSOCIATION, INC. C/O ASSOCIATION SOLUTIONS OF CENTRAL FL, INC., R.A 811 MABBETTE STREET KISSIMMEE, FL 34741