![]() ![]() ![]() We recommend and urge you to consult with an experienced lawyer for professional advice as each case is unique. This is a sample document related to a specific set of facts and circumstances and should not be used or relied upon if any foreclosure, deficiency judgment, short sale or any other real estate matter. A sample motion or notice of motion to compel discovery under Federal Rule of Civil Procedure (FRCP) 37(a). ORDERED AND ADJUDGED that the Ex-Parte Motion to Compel Discovery be and the same is hereby granted and Plaintiff is to respond within fifteen (15) days from the date of this Order.ĭONE AND ORDERED at Collier County, Florida, this _ day of _, 20_. AND Do.O’S, Ex Parte Motion to Compel Discovery, and the Court having considered same, under Local Rule, and being otherwise duly advised in the premises, it is THIS CAUSE having come on to be heard on Defendants’, De.O. Florida Bar No 021997ĭEUTSCHE BANK NATIONAL TRUST CASE NO: 07-0052-CAĮX PARTE ORDER ON DEFENDANTS’, De.O. ![]() Leigh, Esq., 5150 Tamiami Trail, North, Suite 501, Naples, FL 34103 and David Brian Levin, Esq., Adorno & Yoss LLP, 2525 Ponce de Leon Blvd Ste 400, Miami, Florida 33134-6044.īy_ĪLAN D. If a party in a civil action seeks a ruling on a motion to compel discovery without a hearing, the movant must file the original motion with the Clerk of the Circuit Court and contemporaneously serve opposing party/counsel with the motion to compel. Pine Island Road, Suite 400, Plantation, FL 33324-3920 David E. IT IS HEREBY CERTIFIED that on September 13, 2010, a true and correct copy of the foregoing was faxed and mailed to: Michael J. On August 29, Defendant responded and provided some supplementation including emails exchanged between Plaintiff’s daughter and the staff. WHEREFORE, pursuant to the applicable Florida Rules of Civil Procedure and Administrative Order, Defendants respectfully request that this Court enter an Ex-Parte Order compelling the aforementioned discovery within fifteen (15) days from the date of this Order. On August 9, 2017, Plaintiff sent Defendant a letter outlining various discovery deficiencies. The information is material for the defense of this case. That no responses or objections have been filed by the Plaintiff as of this date.ģ. That on March 26, 2010, Defendants served a Request to Production to Plaintiff.Ģ. The Defendants, D.O., by and through undersigned counsel, moves this Honorable Court for an order compelling Plaintiff, DEUTSCHE BANK NATIONAL TRUST COMPANY, AS TRUSTEE FOR MORGAN STANLEY ABS CAPITAL I, INC., TRUST 2006-HE6, MORTGAGE PASS-THROUGH CERTIFICATES, SERIES 2006-HE6, to respond to Defendants’ discovery request and states as follows:ġ. Home – Foreclosure Defense – Pleadings Main Index Exparte Motion to Compel DiscoveryĭEUTSCHE BANK NATIONAL TRUST CASE NO: 07-xxxx-CAĭEFENDANTS’, De.O and Do.O, EX-PARTE MOTION TO COMPEL DISCOVERY ![]()
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