On December 04, 2019 a
Motion,Ex Parte
was filed
involving a dispute between
Carr, Jamie,
Carr, Jennifer,
and
Gulfstream Property & Casualty Insurance Company,
for INSURANCE CLAIM
in the District Court of Bay County.
Preview
Filing # 121254362 E-Filed 02/11/2021 03:13:05 PM
IN THE CIRCUIT COURT OF THE
14â„¢ JUDICIAL CIRCUIT IN AND
FOR BAY COUNTY, FLORIDA
CASE NO.: 19004412CA
JAMIE AND JENNIFER CARR,
Plaintiffs,
V.
GULFSTREAM PROPERTY & CASUALTY
INSURANCE COMPANY
Defendant.
DEFENDANT’S MOTION FOR EXTENSION OF TIME TO RESPOND
TO PLAINTIFFS’ EXPERT DISCOVERY REQUESTS
COMES NOW, the Defendant, GULFSTREAM PROPERTY & CASUALTY
INSURANCE COMPANY, by and through its undersigned counsel, and pursuant to Fla.
R. Civ. P. 1.090(b) and hereby files this Motion for Extension of Time to Respond to
Plaintiffs’ Expert Discovery Requests and in support thereof states the following:
1. Defendant's responses to Plaintiffs’ expert discovery requests are due on
February 10, 2021.
2. The undersigned counsel requires additional time to respond to Plaintiffs’
Expert Request for Production, Expert Witness Interrogatories and Boecher Expert
Interrogatories.
3. Accordingly, Defendant respectfully requests that this Court grant
Defendant an extension to respond to Plaintiffs’ expert discovery requests.
4. This matter is not scheduled for trial or pretrial conference.
5. No party will be prejudiced as a result of the requested extension of time.
6. Plaintiffs’ counsel has no objection to this extension
WHEREFORE, Defendant, GULFSTREAM PROPERTY & CASUALTY
INSURANCE COMPANY, respectfully requests this Honorable Court grant an extension
of time within which to respond to Plaintiffs’ Expert Request for Production, Expert
Witness Interrogatories and Boecher Expert Interrogatories.
BUTLER WEIHMULLER KATZ CRAIG LLP
Seed ee,
KATHY J. MAUS, ESQ.
Florida Bar No.: 0896330
kmaus@butler.legal
JULIUS F. PARKER, III,ESQ.
Florida Bar No.: 0160857
jparker@butler.legal
Secondary: apinnock@butler.legal
Mail Center: 400 N. Ashley Drive, Suite 2300
Tampa, Florida 33602
Telephone: (850) 894-4111
Facsimile: (850) 894-4999
Attorneys for Defendant
2
CERTIFICATE OF SERVICE
| certify that a copy hereof has been furnished to:
Scott M. Rosso, Esq.
David R. Shaheen, Esq.
GED Lawyers, LLP
7171 North Federal Highway
Boca Raton, FL 33487
pdlittaw@gedlawyers.com
Secondary: bgoetsch@gedlawyers.com
Attorneys For: Plaintiffs
by e-Portal and e-Service on February 11, 2021.
Seed ute
Ci a
JULIUS F. PARKER, III,ESQ.
3
Document Filed Date
February 11, 2021
Case Filing Date
December 04, 2019
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