Odyssey Marine Exploration, Inc. v. The Unidentified Shipwrecked Vessel
Filing
35
Joint MOTION to extend time to File Completed Case Management Report by Odyssey Marine Exploration, Inc.. (Von Spiegelfeld, Allen)
Odyssey Marine Exploration, Inc. v. The Unidentified Shipwrecked Vessel
Doc. 35
Case 8:07-cv-00614-SDM-MAP
Document 35
Filed 09/06/2007
Page 1 of 3
IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION IN ADMIRALTY ODYSSEY MARINE EXPLORATION, INC. Plaintiff, v. Case No: 8:07-CV-00614-SCB-MAP THE UNIDENTIFIED, SHIPWRECKED VESSEL, if any, its apparel, tackle, appurtenances and cargo located within a five mile radius of the center point coordinates provided to the Court under seal, Defendant; _________________________________________/ JOINT MOTION FOR EXTENSION OF TIME TO FILE COMPLETED CASE MANAGEMENT REPORT COMES NOW, Plaintiff, ODYSSEY MARINE EXPLORATION, INC., and Claimant KINGDOM OF SPAIN, by and through undersigned counsel, and respectfully moves this Honorable Court to allow the parties to submit a completed Case Management Report thirty (30) days from today's date, and in support thereof would state: 1. 2. The parties have met again in compliance with Rule 3.05. During the meeting, we discussed the possibility of filing the Case Management CIVIL ACTION
Report on September 6, 2007, however, noted that the KINGDOM OF SPAIN is not required to file their Answer until September 19, 2007. 3. Until a responsive pleading is filed by SPAIN, it is not really practical to file a
Case Management Report since all of the issues not at this time known.
Dockets.Justia.com
Case 8:07-cv-00614-SDM-MAP
Document 35
Filed 09/06/2007
Page 2 of 3
4.
This matter involves a large number of intricate issues, including such things as
sovereign immunity, the law of the sea conventions, international treaties, and foreign statutes, which have made the pleadings difficult and time-consuming. 5. The requested extension of time will not appreciably delay the scheduling of
events in this case. MEMORANDUM OF LAW Rule 1.01 of the Local Rules of Civil Procedure provides that any time frame set by the Court or by the Rules can be modified if it is in the best interest of judicial economy and justice. The parties have conferred and have agreed that it is clearly in the best interest of both judicial economy and justice to allow the parties an additional thirty (30) days from September 6, 2007, to complete the Case Management Report. If the parties do not have the extra period of time, then the Case Management Report will be, at best, incomplete and perhaps in error. WHEREFORE, the parties respectfully request this Honorable Court to grant the parties an additional thirty (30) days from September 6, 2007, in which to comply with Rule 3.05 of the Local Rules of Civil Procedure and prepare a Case Management Report pursuant to the Court's Rules. Respectfully submitted, s/ Allen von Spiegelfeld Allen von Spiegelfeld FBN 256803 avonsp@fowlerwhite.com Eric C. Thiel FBN 016267 ethiel@fowlerwhite.com FOWLER WHITE BOGGS BANKER P.A. P.O. Box 1438 Tampa, Florida 33601 (813) 228-7411 Facsimile: (813) 229-8313 Attorneys for Plaintiff s/ David C. Banker James A. Goold COVINGTON & BURLING LLP 1201 Pennsylvania Ave., NW Washington, DC 20004 (202) 662-5507 Facsimile: (202) 662-6291 E-mail: jgoold@cov.com - and -
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Case 8:07-cv-00614-SDM-MAP
Document 35
Filed 09/06/2007
Page 3 of 3
David C. Banker Florida Bar No.: 352977 Bush Ross P.A. 220 S. Franklin Street P. O. Box 3913 Tampa, FL 33601-9313 (813) 224-9255 Facsimile: (813) 223-9620 E-mail: dbanker@bushross.com Attorneys for Claimant, Kingdom of Spain
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