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  • ST GERMAIN, ROODY V US AUTO SALES FLORIDA INC AUTO NEGLIGENCE document preview
  • ST GERMAIN, ROODY V US AUTO SALES FLORIDA INC AUTO NEGLIGENCE document preview
  • ST GERMAIN, ROODY V US AUTO SALES FLORIDA INC AUTO NEGLIGENCE document preview
  • ST GERMAIN, ROODY V US AUTO SALES FLORIDA INC AUTO NEGLIGENCE document preview
						
                                

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Filing # 126062158 E-Filed 05/03/2021 04:05:44 PM IN THE CIRCUIT COURT OF THE 15% JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA CASE NO. 50-2020-CA-007463-XXXX- MB Div: AN ROODY ST. GERMAIN, Plaintiff, vs. U.S. AUTO SALES-FLORIDA, INC., Defendant. EE NOTICE OF FILING DEFENDANT’S CONSENT FOR JOINT MOTION FOR CONTINUANCE OF JURY TRIAL AND EXTENSION OF PRETRIAL DEADLINES Defendant, U.S. AUTO SALES-FLORIDA, INC. (“Defendant”), by and through their undersigned counsel, file this Notice of consenting to the joint motion to continue the jury trial and modify the pre-trial deadlines set forth in this Court’s Order Setting Case Management Conference, Calendar Call, Jury Trial, and Pre-trial Procedures dated October 29, 2020, for the above-styled cause, and in support thereof, state as follows: 1. T have reviewed the joint motion to continue the jury trial and modify the pre-trial deadlines set forth in this Court’s Order Setting Case Management Conference, Calendar Call, Jury Trial, and Pre-trial Procedures dated October 29, 2020, filed by the undersigned in this matter, and hereby consent to a continuance as outlined in said motion and respectfully request that the trial commencing July 6, 2021 through August 27, 2021, be continued as requested in said motion. clue parcue Andrew Garcja — General Counsel On behalf of Defendant *** FILED: PALM BEACH COUNTY, FL JOSEPH ABRUZZO, CLERK. 05/03/2021 04:05:44 PM ***50-2020-CA-007463-XXXX-MB CERTIFICATE OF SERVICE WE HEREBY CERTIFY that on this 28" day of April, 2021, a true and correct copy of the foregoing was filed with the Clerk of Palm Beach County by using the Florida Courts e-Filing Portal, which will send an automatic e-mail message to all counsel of record for the parties registered with the e-Filing Portal system. COLE, SCOTT & KISSANE, P.A. Counsel for Defendant Cole, Scott & Kissane Building 9150 South Dadeland Boulevard, Suite 1400 P.O. Box 569015 Miami, Florida 33256 Telephone (786) 268-6759 Facsimile (305) 373-2294 Primary e-mail: david.herrero@csklegal.com Alternate e-mail: daniel.estrella@csklegal.com By: + Dewitt Keone DAVID A. HERRERO Florida Bar No.: 85962