Odyssey Marine Exploration, Inc. v. The Unidentified Shipwrecked Vessel
Filing
18
Unopposed MOTION for Extension of Time to File Response/Reply as to
17 MOTION for more definite statement
and related relief by Odyssey Marine Exploration, Inc.. (Von Spiegelfeld, Allen) Motions referred to Magistrate Judge Mary S. Scriven.
Odyssey Marine Exploration, Inc. v. The Unidentified Shipwrecked Vessel
Doc. 18
Case 8:07-cv-00616-JSM-MSS
Document 18
Filed 06/26/2007
Page 1 of 2
IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION IN ADMIRALTY ODYSSEY MARINE EXPLORATION, INC. Plaintiff, vs. THE UNIDENTIFIED, SHIPWRECKED VESSEL, its apparel, tackle, appurtenances and cargo located within center point coordinates: (to be provided to the Court under seal), in rem, Defendant(s). ________________________________________/ UNOPPOSED MOTION FOR EXTENSION OF TIME TO RESPOND TO KINGDOM OF SPAIN'S MOTION FOR MORE DEFINITE STATEMENT AND OTHER DISCLOSURE BEFORE KINGDOM OF SPAIN INTERPOSES A RESPONSIVE PLEADING COMES NOW, Plaintiff, ODYSSEY MARINE EXPLORATION, INC. ("Odyssey"), by and through undersigned counsel, and moves this Honorable Court for an extension to respond to the KINGDOM OF SPAIN's Motion for Definite Statement and Other Disclosure Before Kingdom of Spain Interposes a Responsive Pleading (Docket #17) in this matter, and in support thereof would state: 1. ODYSSEY and the KINGDOM OF SPAIN have discussed this matter in detail CIVIL ACTION Case No.: 8:07-CV-00616-JSM-MSS
and have agreed that an extension should be granted until July 23, 2007. 2. The reason for the extension is to allow ODYSSEY to conduct more research and
to respond fully and completely to the Motion for Definite Statement and Other Disclosure Before Kingdom of Spain Interposes a Responsive Pleading.
Dockets.Justia.com
Case 8:07-cv-00616-JSM-MSS
Document 18
Filed 06/26/2007
Page 2 of 2
3.
It is anticipated that part of the response will be additional information provided
to the KINGDOM OF SPAIN. WHEREFORE, in light of the KINGDOM OF SPAIN's agreement, it is requested that the Court permit ODYSSEY until July 23, 2007, to respond to the Motion for Definite Statement and Other Disclosure Before Kingdom of Spain Interposes a Responsive Pleading. MEMORANDUM OF LAW The Federal Rules of Civil Procedure, Rule 6(b) provides that the Court can always extend or enlarge times when justice so requires. In this instance, it is in the benefit of justice to allow the extension of time to respond to the KINGDOM OF SPAIN's motion. CERTIFICATE UNDER LOCAL RULE 3.01(g) Pursuant to Local Rule 3.01(g), undersigned counsel certifies that he has conferred in good faith with counsel for Claimant, Kingdom of Spain, concerning the substance of this motion, and that counsel agree on the resolution of same. 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
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