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  • ARIAS, MARIA vs. UNIVERSAL PROPERTY AND CASUALTY INSURANCE COMPANY CA - Breach of Agreement/Contract document preview
  • ARIAS, MARIA vs. UNIVERSAL PROPERTY AND CASUALTY INSURANCE COMPANY CA - Breach of Agreement/Contract document preview
  • ARIAS, MARIA vs. UNIVERSAL PROPERTY AND CASUALTY INSURANCE COMPANY CA - Breach of Agreement/Contract document preview
  • ARIAS, MARIA vs. UNIVERSAL PROPERTY AND CASUALTY INSURANCE COMPANY CA - Breach of Agreement/Contract document preview
						
                                

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Filing # 62520652 E-Filed 10/06/2017 03:04:50 PM IN THE CIRCUIT COURT OF THE 9th JUDICIAL CIRCUIT IN AND FOR ORANGE COUNTY, FLORIDA MARIA ARIAS, CASE NO.: 2017-CA-007417-O Plaintiff, vs. UNIVERSAL PROPERTY & CASUALTY INSURANCE COMPANY, Defendant. ____________________________________/ MOTION FOR EXTENSION OF TIME TO RESPOND TO PLAINTIFF’S DISCOVERY REQUESTS Defendant, UNIVERSAL PROPERTY & CASUALTY INSURANCE COMPANY (“Universal”), by and through the undersigned counsel, hereby files its Motion for Extension of Time to File a Response to Plaintiff’s Discovery Request, and states as follows: 1. This matter arises out of a claim asserted by MARIA ARIAS against Universal for damages arising out of and resulting from alleged damage occurring on February 7, 2017. 2. The undersigned counsel is in receipt of Plaintiff’s Discovery requests, however, additional time is necessary to respond and as such, Universal would respectfully request additional time to review the file, discuss early resolution, and if necessary, file a response to Plaintiff’s Discovery Requests. 3. This Motion is not being filed for the purposes of delay and will not prejudice any party. WHEREFORE, Universal Property and Casualty Insurance Company respectfully requests this Court to enter an Order granting Defendant additional time to respond to Plaintiff’s Discovery Requests and any and all other relief this Court may deem just and proper. CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing was furnished via E-Service to: Jonathan Drake, Esq., (jdrake@stremslaw.com) (pleadings@stremslaw.com), Counsel for Plaintiff on this 6th day of October, 2017. Attorneys for Defendant Universal Property & Casualty Ins. Co. 1110 West Commercial Blvd. Fort Lauderdale, Florida 33309 Telephone: 800-470-0599 Facsimile: 954-267-5511 By: /s/ Holly Miller Todd E. Brant, Esq. Florida Bar No. 0179310 Holly Miller, Esq. Florida Bar No. 40185 For Service of Court Documents only: Primary: upciceservice@universalproperty.com Secondary: kb0426@universalproperty.com