Klein & Heuchan, Inc. v. CoStar Realty Information, Inc. et al

Filing 100

Unopposed MOTION to extend time to file motions in limine (four-day extension) by CoStar Group, Inc., CoStar Realty Information, Inc.. (Guerrant, William)

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Klein & Heuchan, Inc. v. CoStar Realty Information, Inc. et al Doc. 100 Case 8:08-cv-01227-JSM-EAJ Document 100 Filed 02/08/10 Page 1 of 3 UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION KLEIN & HEUCHAN, INC., a Florida Corporation, Plaintiff, vs. COSTAR REALTY INFORMATION, INC., and COSTAR GROUP, INC., Defendants. ________________________________/ DFENDANTS' UNOPPOSED MOTION FOR FOUR-DAY ENLARGEMENT OF TIME TO FILE MOTIONS IN LIMINE Defendants Costar Realty Information, Inc. and Costar Group, Inc., by and through their undersigned counsel, hereby move this Court to enter an Order enlarging the time within which they must file their Motions in Limine by four days, through and including February 12, 2010, and as grounds therefore state: 1. On February 2, 2010, the Court held a pretrial conference in this case and Case No.: 8-08-cv-01227-JSM-MSS ordered that any motions in limine shall be filed by February 8, 2010 (Dkt. 98). 2. Due to a major snow storm and subsequent power outages, trial counsel for Defendants is unable to meet the required deadline to file Defendants' Motions in Limine and therefore requests a four-day extension of time within which to file Defendants' Motions in Limine--through and including February 12, 2010. 3. Plaintiff is not opposed to Defendants' request for an extension of time in which to file its Motions in Limine. Dockets.Justia.com Case 8:08-cv-01227-JSM-EAJ Document 100 Filed 02/08/10 Page 2 of 3 4. Plaintiff's deadline in which to file Plaintiff's Motions in Limine is not affected by this motion. 5. Pursuant to Rule 6, Fed.R.Civ.P., this Court has the authority to grant the relief requested herein. WHEREFORE, Defendants Costar Realty Information, Inc. and Costar Group, Inc., respectfully request this Court enter an Order enlarging the time within which they must file their Motions in Limine by four-days, through and including February 12, 2010. LOCAL RULE 3.01(g) CERTIFICATION Counsel for Defendants has conferred with counsel for Plaintiff, and counsel for Plaintiff has no objection to the granting of the relief requested herein. Respectfully submitted, s/William C. Guerrant, Jr. William C. Guerrant, Jr., FBN 516058 wguerrant@hwhlaw.com Trial Counsel William F. Sansone, FBN 781231 wsansone@hwhlaw.com HILL, WARD & HENDERSON, P.A. Suite 3700 ­ Bank of America Building 101 East Kennedy Boulevard Post Office Box 2231 Tampa, Florida 33601 Telephone: (813) 221-3900 Facsimile: (813) 221-2900 Attorneys for Defendants 2 Case 8:08-cv-01227-JSM-EAJ Document 100 Filed 02/08/10 Page 3 of 3 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on February 8, 2010, I electronically filed the foregoing with the Clerk of the Court by using the CM/ECF system which will send a notice of electronic filing to J. Paul Raymond and Jeff Gibson, MacFarlane Ferguson & McMullen, P. O. Box 1669, Clearwater, FL 33757. s/William C. Guerrant, Jr. Attorney 1477734.1 3

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