Fauerbach - Defendants Motion For Time

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IN THE COUNTY COURT IN AND FOR BROWARD COUNTY, FLORIDA CASE : JUDGE: WATERFORD COURTYARDS IN JACARANDA AT CENTRAL PARK

HOMEOWNERS ASSOCIATION, INC., Plaintiffs v. WILLIAM V. FAUERBACH, et al Defendant _________________________________________/ DEFENDANTS MOTION TO EXTEND TIME TO FILE RESPONSIVE PLEADING Defendant, William V. Fauerbach, moves pursuant to Rule 1.090(b) of the Florida Rules of Civil Procedure, for an extension of time to file a responsive pleading on the grounds that they have propounded discovery upon Plaintiff, and do not know until they receive the requested documents what responses, affirmative defenses and counterclaims must be made to the Complaint. Defendants cite Rule 1.130 of the Florida Rules of Civil Procedure as grounds for this motion. Rule 1.130 requires that documents upon which action may be brought or defenses made be incorporated in or attached to the pleading. WHEREFORE, Defendant, William v. Fauerbach, requests that this Court extend the time to file a responsive pleading until at least twenty days after they have received the documents requested from Plaintiff. CERTIFICATE OF SERVICE The undersigned certifies that a true copy of this document has been sent by U.S. Certified Mail to Joseph H. Wolenski, Esq. at 400 Northridge Road, Suite 1100 M/S 27, Sandy Springs, Georgia 30350 on this ______ day of July, 2011. _____________________________ William Fauerbach, Pro-Se COWE 11-891 (81) JANE FISHMAN

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