3. Defendant's Second Motion to Dismiss with its attached Exhibits exceeds over 200 pages and seeks dismissal of the Amended Complaint with prejudice. Plaintiff's (Raanan Katz) counsel is preparing a substantive response but will need additional time given the nature of the motion coupled with being out of the office when the motion was served.
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Raanan Katz Motion For Extension Of Time
1. Case 1:12-cv-22211-JLK Document 15 Entered on FLSD Docket 08/24/2012 Page 1 of 4
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF FLORIDA
Case No.: 1:12-cv-22211-JLK
RAANAN KATZ,
Plaintiff,
vs.
IRINA CHEVALDINA,
Defendant.
_______________________________________/
PLAINTIFF’S FIRST MOTION FOR EXTENSION OF TIME
TO RESPOND TO DEFENDANT’S SECOND MOTION TO DISMISS
Plaintiff, Raanan Katz, by and through his undersigned counsel, hereby moves for an
extension of time to respond to Defendant’s Motion to Dismiss the Amended Complaint [the
“Second Motion to Dismiss,” DE 14], and states:
1. The current deadline to respond to the Second Motion to Dismiss is August 27,
2012.
2. Undersigned counsel (Michael B. Chesal) has just returned on the afternoon of
August 21st from a two and one half week trip out of the country.
3. Defendant’s Second Motion to Dismiss with its attached Exhibits exceeds over
200 pages and seeks dismissal of the Amended Complaint with prejudice. Plaintiff’s counsel is
preparing a substantive response but will need additional time given the nature of the motion
coupled with being out of the office when the motion was served.
4. Undersigned counsel is only seeking a ten (10) day extension of time to respond,
up to and including September 6, 2012 in order to adequately respond to Defendant’s Second
Motion to Dismiss.
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2. Case 1:12-cv-22211-JLK Document 15 Entered on FLSD Docket 08/24/2012 Page 2 of 4
5. This request is made in good faith and not for purposes of undue delay and will
not unduly prejudice any of the parties involved in this action.
6. In accordance with Local Rule 7.1(a)(3)(A), counsel for the movant certifies he
has conferred with counsel for the Defendant in a good faith effort to resolve the issues raised in
this motion but has been unable to do so. For some reason, counsel for the Defendant refuses to
agree to the brief requested extension (even though undersigned counsel previously consented to
an extension of time requested by Defendant’s counsel).
7. A proposed order granting the requested relief is submitted herewith.
WHEREFORE, Plaintiff respectfully requests that the deadline to respond to
Defendant’s Second Motion to Dismiss be extended to September 6, 2012.
Dated: August 24, 2012
Respectfully submitted,
KLUGER KAPLAN SILVERMAN KATZEN &
LEVINE, P.L.
Co-Counsel for Raanan Katz
201 South Biscayne Blvd., 17th Floor
Miami, Florida 33131
Telephone: 305-379-9000
Facsimile: 305- 379-3428
By: /s Alan J. Kluger
Alan J. Kluger
Florida Bar No. 200379
Email: akluger@ klugerkaplan.com
Todd A. Levine
Florida Bar No. 899119
Email: tlevine@klugerkaplan.com
and
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3. Case 1:12-cv-22211-JLK Document 15 Entered on FLSD Docket 08/24/2012 Page 3 of 4
PERETZ CHESAL & HERRMANN, P.L.
Co-Counsel for Raanan Katz
201 South Biscayne Blvd., Suite 1750
Miami, Florida 33131
Telephone: 305-341-3000
Facsimile: 305-371-6807
By: /s Michael B. Chesal
Michael B. Chesal
Florida Bar No. 775398
Email: mchesal@pch-iplaw.com
Josh E. Saltz
Florida Bar No. 70521
Email: jsaltz@pch-iplaw.com
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4. Case 1:12-cv-22211-JLK Document 15 Entered on FLSD Docket 08/24/2012 Page 4 of 4
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing was served on August 24,
2012 on all counsel or parties of record in the manner specified on the Service List below.
/s Michael B. Chesal
SERVICE LIST
Robert Charles Kain, Jr., Esq. Marc John Randazza, Esq.
Kain & Associates, Attorneys at Law, 6525 W. Warm Springs Rd., Suite 100
P.A. Las Vegas, NV 89118
900 SE Third Avenue, Suite 205 Tel: 888-667-1113
Fort Lauderdale, FL 33316 Fax: 305-437-7662
Tel: 954-768-9002 Email: MJR@randazza.com
Fax: 954-768-0158 Counsel for Defendant, Irina
Email: rkain@complexip.com Chevaldina
Counsel for Defendant, Irina
Chevaldina [via CM/ECF]
[via CM/ECF]
Darren Joel Spielman, Esq.
Kain & Associates, Attorneys at Law,
P.A.
900 SE Third Avenue, Suite 205
Fort Lauderdale, FL 33316
Tel: 954-768-9002
Fax: 954-768-0158
Email: dspielman@complexip.com
Counsel for Defendant, Irina
Chevaldina
[via CM/ECF]
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