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  • Galway Bay Mobile Homeowners Association, Inc. vs BIZA Corp. d/b/a Galway Bay Mobile Home Park Other - Matters not falling within the other Civil Subcatego document preview
  • Galway Bay Mobile Homeowners Association, Inc. vs BIZA Corp. d/b/a Galway Bay Mobile Home Park Other - Matters not falling within the other Civil Subcatego document preview
  • Galway Bay Mobile Homeowners Association, Inc. vs BIZA Corp. d/b/a Galway Bay Mobile Home Park Other - Matters not falling within the other Civil Subcatego document preview
  • Galway Bay Mobile Homeowners Association, Inc. vs BIZA Corp. d/b/a Galway Bay Mobile Home Park Other - Matters not falling within the other Civil Subcatego document preview
						
                                

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Filing #61997292 E-Filed 09/26/2017 12:03:24 PM IN THE CIRCUIT COURT IN AND FOR MONROE COUNTY, FLORIDA CIVIL DIVISION CASE NO.: CAM 17 166 GALWAY BAY HOMEOWNERS ASSOCIATION, INC., Plaintiff, vs. BIZA CORP., d/b/a Galway Bay Mobile Home Park Defendant. / WAIVER OF SERVICE OF PROCESS I acknowledge receipt of your request that ] waive service of process in the lawsuit of GALWAY BAY HOMEOWNERS ASSOCIATION, INC. v. BIZA CORP., d/b/a Galway Bay Mobile Home Park, in County Court for Monroe County, Florida. I have also received a copy of the complaint, two copies of this waiver, and a means by which I can return the signed waiver to you without cost to me. l agree to save the cost of service of process and an additional copy of the complaint in this lawsuit by not requiring that I (or the entity on whose behalf I am acting) be served with judicial process in the manner provided by Fla. R. Civ. P. 1,070. If] am not the defendant to whom the notice of lawsuit and waiver of service of process was sent, I declare that my relationship to the entity or person to whom the notice was sent and my authority to accept service on behalf of such person is as follows: Attorney for Defendant BIZA CORP., d/b/a Galway Bay Mobile Home Park I (or the entity on whose behalf I am acting) will retain all defenses or objections to the 1 lawsuit or to the jurisdiction or venue of the court except for any objections based on a defect in the summons or in the service of the summons. I understand that a judgment may be entered against me (or the party on whose behalf] am acting) if a written response is not served upon you by October 16, 2017. DATED on this Qbiay of September. By: Veep David Eastman, Esq. Florida Bar No. 454559 Attorney for Defendant: 2155 Delta Boulevard Suite 210B Tallahassee, FL 32303 Telephone: (850) 521-0890 E-mail: eastman@floridahousinglaw.com