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  • DEUTSCHE BANK AG v. VIK, CAROLINE Et AlT90 - Torts - All other document preview
  • DEUTSCHE BANK AG v. VIK, CAROLINE Et AlT90 - Torts - All other document preview
  • DEUTSCHE BANK AG v. VIK, CAROLINE Et AlT90 - Torts - All other document preview
  • DEUTSCHE BANK AG v. VIK, CAROLINE Et AlT90 - Torts - All other document preview
  • DEUTSCHE BANK AG v. VIK, CAROLINE Et AlT90 - Torts - All other document preview
  • DEUTSCHE BANK AG v. VIK, CAROLINE Et AlT90 - Torts - All other document preview
						
                                

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DOCKET NO. FST-CV20-6047029-S : SUPERIOR COURT DEUTSCHE BANK AG, : J.D. OF STAMFORD- PLAINTIFF, NORWALK VS. : AT STAMFORD : CAROLINE VIK, ET AL, : SEPTEMBER 14, 2020 Defendant. MOTION FOR EXTENSION OF TIME TO PLEAD ON CONSENT Defendants, Alexander Vik and Caroline Vik, move this Court for an additional extension of time of thirty (30) days, up to and including October 22, 2020 within which to file a pleading responsive to the Plaintiff’s complaint dated June 2, 2020 with the Return Date of June 23, 2020. The reason for the requested extension is that the undersigned has just been retained by the Defendants and filed an in lieu appearance on September 9, 2020. Counsel needs additional time to investigate the allegations of the Complaint, and prepare the responsive pleadings. This is the Defendants’ third request for extension of time, but the first made by the undersigned, as the in lieu appearance was just filed. The undersigned certifies that this case has not been scheduled for trial, nor has a scheduling order been entered. This motion will not impede the orderly progression of this case, nor delay its ultimate resolution. The Plaintiff consents to this request. The Defendants Caroline Vik and Alexander Vik By: /s/ Monte E. Frank Monte E. Frank Pullman & Comley, LLC 850 Main Street P.O. Box 7006 Bridgeport, CT 06601-7006 Juris No. 47892 Telephone 203 330 2000 Facsimile 203 576 8888 Their Attorneys 2 CERTIFICATION I certify that a copy of the above was or will immediately be mailed or delivered electronically or non-electronically on September 14, 2020 to all counsel and self- represented parties of record and that written consent for electronic delivery was received from all counsel and self-represented parties of record who were or will immediately be electronically served. Day Pitney LLP One Stamford Plaza 263 Tresser Boulevard Stamford, CT 06901-13236 Cahill Gordon & Reindel 32 Old Slip New York, NY 10005 David G. Januszewski, Esq. PHV Brian T. Markley PHV Sheila C. Ramesh /s/ Monte E. Frank Monte E. Frank 3 ACTIVE/81751.1/MFRANK/9038046v1