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  • TRINITY FINANCIAL VS B GIMZEK FCL-HOMESTEAD $0-$50000 document preview
  • TRINITY FINANCIAL VS B GIMZEK FCL-HOMESTEAD $0-$50000 document preview
						
                                

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Filing # 84164326 E-Filed 01/30/2019 04:50:50 PM IN THE CIRCUIT COURT OF THE EIGHTEENTH JUDICIAL CIRCUIT IN AND FOR BREVARD COUNTY, FLORIDA NEWPORT BEACH HOLDINGS, LLC, CASE NO. 05-2016-CA-53709-XXXX-XX Plaintiff, Vv. BRUCE GIMZEK, et al, Defendants. / DEFENDANT, BRUCE GIMZEK’S RESPONSE TO THE FIRST REQUEST FOR PRODUCTION OF DOCUMENTS FROM PLAINTIFF. 'WPORT BEACH HOLDINGS, LLC Defendant, BRUCE GIMZEK (hereinafter referred to as “GIMZEK”), by and through his undersigned attorneys, responds to the First Request for Production of Documents propounded by Plaintiff, NEWPORT BEACH HOLDINGS, LLC (hereinafter referred to as “Plaintiff”), as follows: 1. There are no documents responsive to Request Number | of Plaintiff's First Request for Production of Documents to GIMZEK that are in GIMZEK's possession or control. I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by Electronic Mail through the Florida E-Portal, which will serve copies to: David Miller, Esquire at service@dwaldmanlaw.com and david@dwaldmanlaw.com, on this 30" day of January, 2019. SCHILLINGER & COLEMAN, P.A. Attorneys for Defendant, Bruce Gimzek 1311 Bedford Drive Melbourne, FL 32940 (321) 255-3737 Primary Email: cschillinger@fla-lawyers.com Secondary Emails: bvargas@fla-lawyers.com By: /s/ Charles A. Schillinger CHARLES A. SCHILLINGER, ESQ. Florida Bar No. 0870595 Filing 84164326 NEWPORT BEACH VS BRUCE GIMZEK 05-2016-CA-053709-XXXX-XX