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  • ASAF MENGELGREIN ET AL VS CHARLES GLASHEEN Business Torts document preview
  • ASAF MENGELGREIN ET AL VS CHARLES GLASHEEN Business Torts document preview
  • ASAF MENGELGREIN ET AL VS CHARLES GLASHEEN Business Torts document preview
  • ASAF MENGELGREIN ET AL VS CHARLES GLASHEEN Business Torts document preview
  • ASAF MENGELGREIN ET AL VS CHARLES GLASHEEN Business Torts document preview
  • ASAF MENGELGREIN ET AL VS CHARLES GLASHEEN Business Torts document preview
						
                                

Preview

Filing # 78544935 E-Filed 09/27/2018 03:36:55 PM IN THE CIRCUIT COURT OF THE 11th JUDICIAL CIRCUIT IN AND FOR MIAMI-DADE COUNTY, FLORIDA TWIN OAKS INVESTMENTS LLC. and ASAF MENGELGREIN, Plaintiffs, CASE NO.: 2017-015055-CA-01 (09) NORTHEAST PALMS CONDO. ASS’N, INC., MICHAEL LEAVITT As President of Northeast Palms Condo. Ass’n, Inc., CHARLES GLASHEEN as Vice President of Northeast Palms Condo Ass'n, Inc., MICHAEL LEAVITT personally, and CHARLES GLASHEEN, personally, Defendants. / MOTION TO CONTINUE SPECIAL SET HEARING 1. Plaintiffs’ Motion to Amend Claims and Allegations and Amend Complaint to Include Punitive Damages was heard on or about July 19, 2018, at a special set hearing before this Court. 2. At said hearing two Orders were entered. The first Order provided that the Plaintiffs would have 10 days to correct their proposed second amended complaint, the second Order provided that the parties would conduct a mediation prior to the rehearing on Plaintiffs and Defendants’ motions. 3. The mediator suggested by the Court was Stanford Blake. 4. Mr. Blake did not have any availability to mediate this case until after October 23, 2018 1 of 35. Subsequent to the July 19, 2018, hearing, this matter was resolved between Plaintiff Asaf Mengelgrein and all defendants by accepting the proposed settlement filed with this Court. 6. However, this case has not settled between Plaintiff Twin Oaks Investments LLC. and the Defendants. 7. Counsels for Plaintiff and Defendants then agreed to have Robert Dulberg mediate this case. However, due to scheduling conflicts, Plaintiff and Defendants could not agree upon a date to mediate this case prior to the October 23, 2018, hearing 8. In an effort to resolve this matter amicably between the parties and save the Court’s time and resources, Plaintiff moves this honorable Court for a continuance of the October 23, 2018, hearing to a date in January that the parties and Court can mutually agree upon 9. Counsel for Defendants do not oppose this motion. WHEREFORE, Plaintiff and Defendants respectfully request this honorable Court to continue the October 23, 2018, hearing. Date: September 27, 2018 Respectfully Submitted, /s/ William D. Minnix, Esq. William D. Minnix, Esq. Fla. Bar No. 109534 Attorney for Plaintiff MINNIX LAW LLC. 7485 SW 122nd Street Miami, FL 33156 Williamminnix28@gmail.com wminnix@minnixlawllc.com (727) 637-7341 2 of 3CERTIFICATE OF SERVICE THEREBY CERTIFY a true and correct copy of the foregoing has been served via email and/or through the Florida online e-filing portal to the following Counsel of Record for the Defendants this 27th day of September 2018 ANDERSON GLENN LLP. Attorney for Defendants c/o John Glenn igh | 2650 North Military Trail, Suite 430 Boca Raton, Florida 33341 (561) 893-9192 Date: September 27, 2018. Respectfully Submitted, /s/ William D. Minnix, Esq William D. Minnix, Esq. Fla. Bar No. 109534 Attorney for Plaintiff MINNIX LAW LLC. 7485 SW 122nd Street Miami, FL 33156 Williamminnix28@gmail.com wminnix@minnixlawllc.com (727) 637-7341 3 of 3