114 Defendant's Motion To Strike Plaintiff'Notice of Hearing 2020-11-02

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Fili ng# 115985201 E-Filed 11/02/2020 01 :32:57 PM

IN. THE CIRCUIT COURT OF THE 15TH JUDICIA


. .. L CIRCUIT
.
IN AND FOR PAL M BEA CH COUNTY, FLORIDA

CASE NO. ·2017-CA-004532-MB-AI


OAKS AT BOCA RATON PRO PER TY
OWNERS ASS OCIA TION ,INC .

Plantiff,
v.

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:LAURENCE SCHNEIDER,.
·STEPHANIE.SCHNEIDER,
UNKNOWN TEN ANT #1, et al.,

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Defendant(s).
-- -- -- -- -- -- -- -'l

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DEFENDANT'S MOT ION TO STR IKE PLAINTI
FF'S NOTICE OF HEARING

ED
Defendants; LAU REN CE S. SCHNEIDER and STEP
AHINE L SCHNEIDER, pro se,.
hereby file their Motion to S_tri]{e Plain tiffs Notice
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of Hearing~;aµcl as grounds therefore, states
·the following:
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i. On Mon day, November 2. 2020~ Piain tiff lliii(ateral


ly scheduled its Ex-Parte Motion
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to Transfer Divisio·n for Thursday, November 12,


2020 on Judge Cymonie Row e's U:niform
Motion Calendar.
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2. In its Notice or"Hearing, Plain tiff certified that


it had ;,made tecisoiui~(e efforts to
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confer with all parties who 11iay be affected by the relie fsou
ght in the inotion but has. been
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unable to do so. ,,
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3 .. However, on Frid ay, Octo ber 30, 2020, Defendan


ts did advise coun sel for Plain tiff
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that they did not agree to'se t Plaintiff's Motion on


Judge R9:we's motion caiendar as five to ten
minutes would riot be sufficient..

FILED: PA~M BEACH COUNTY, FL, SHARON


R. BOCK, CLERK, 11/
4. Defendants have filed via separate cover their
Motion in Opposition to Plaintiff's Ex-
Parte Motion to Transfer which would also have
to be scheduled for hearing simultaneously with
Plaintiff's Motion.

5. Defendants request that this Honorable Court strik


e Plaintiff's Notice of Hearing for
November 12, 2020 as it was unilaterally schedule
d and specially set both Plaintiff's Ex-Parte

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Motion to Transfer and Defendants' Motion in
Opposition to Plaintiff's Ex-Parte Motion to
Transfer before Judge Rowe on a date and time
mutually convenient for all parties.

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WHEREFORE, Defendants, LAURENCE S.
SCHNEIDER and STEPAHINE L.

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SCHNEIDER; respectfully requests that this
Court strike Plaintiff's unilaterally scheduled

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Notice of Hearing and for any other relie f that
this Court deems just and proper under the
circumstances.
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LAU REN CE SCHNEIDER, Pro Se


17685 Circle Pon d Court
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Boc a Raton, FL 33496


Tel: 305-710-4201
Email: larry@sacapitalpartners.com
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Secondary: Jordyn.schneider 1998@gmail.com


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STEPHANIE=sc=HNEIDER?J?,.8 Se
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17685 Circle Pon d Court


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Boc a Raton, FL 33496


Tel: 561-322-5103
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Email: steffschneider13@gmail.com
Secondary: Jordyn.schneiderl 998@gmail.com
CERTIFICATE OF SERVICE

I HEREBY CERTIFY that a true and corr ect copy of


the foregoing was
delivered via E-filirig Portal on this __ day of _ _ _ _
_ 2020 to Aleksandra
Novakovich Gonzalez, Esq., (foreclosures@ssclawfirm.com
), Sachs, Sax Caplan,
Attorneys for Oaks at Boca Raton, 6111 Broken Sound Park
way, N.W, #200, Boca
Raton, FL 33487.

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c

Laurence S. Schneider, Pro Se

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-~-5-----~

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Stephanie L:'Schneider, Pro Se

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