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  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
  • MERCADO, ZASKIA vs. CHEDDAR'S CASUAL CAFE INC PREMISES LIABILITY COMMERCIAL-OTHER NEGLIGENCE document preview
						
                                

Preview

Filing # 132094307 E-Filed 08/05/2021 11:17:41 AM IN THE CIRCUIT COURT OF THE NINTH JUDICIAL CIRCUIT IN AND FOR OSCEOLA COUNTY, FLORIDA ZASKIA MERCADO, CASE NO:2019-CA-1939-ON Plaintiff, VS. CHEDDAR’S CASUAL CAFE, INC., Defendant. een amt ieenrenrenne ranean nana tanmnantntannuntor nies / AMENDED MOTION TO CONTINUE TRIAL Plaintiff, ZASKIA MERCADO, by and through her counsel files this Motion and moves for a Continuance of the Trial Scheduled to commence on the trial docket beginning October 11, 2021, and in support state as follows: 1. On or about December 18, 2020, this Court issued its Uniform Order Setting Case for Jury Trial and Pre-Trial Conference and Requiring Pre-Trial Matters be completed with the trial docket beginning on September 1, 2021. 2. The discovery in this matter has not been completed, specifically, the deposition of the defendant’s corporate representative and the deposition of the designated experts. Given the time constraints of experts, the discovery and depositions will not be able to be completed prior to the set deadlines by the court, both parties need more time to complete discovery. 3. Furthermore, the parties have personal matters that obstruct the time frame to complete the necessary discovery to properly put this case on by the trial period currently set. 4. This request is not being made for the purposes of delay, and will not result in prejudice to either party. WHEREFORE, the plaintiff requests that this matter be removed from the October | in 2021 trial docket and that the trial of this matter be continued to a trial period within the first quarter of 2022 (within this Courts discretion in the first quarter of 2022). CERTIFICATE OF SERVICE THEREBY CERTIFY that on August 5, 2021, | electronically filed the foregoing with the Clerk of the Courts by using the Florida Courts e-Filing Portal which will forward a copy to: Kurt M. Spengler, Esquire, Melissa Woodward, Esquire, Wicker Smith, 390 North Orange Avenue, Suite 1000, Orlando, FL 32801, at ORLertpleadings@wickersmith.com: KSpengler@wickersmith.com; M Woodward @wickersmith.com and PNorris@wickersmith.com. s/ Manuel Stefan, Esq. Manuel “Manny” Stefan, Esq. Florida Bar No.: 0103389 MORGAN & MORGAN, P.A. 449% South Semoran Blvd. Orlando, FL 32822 Telephone No.: (407) 452-6982 Facsimile No.: (407) 572-0124 Primary email: MStefan@forthepeople.com Secondary email: evictor@forthepeople.com Attorney for Plaintiff CONSENTED TO: ZASKIA MERCADO