Securities and Exchange Commission v. Nadel et al

Filing 1409

Unopposed MOTION for Extension of Time to File Receiver's Status Report by Burton W. Wiand. (Perez, Jared)

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UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION SECURITIES AND EXCHANGE COMMISSION, Plaintiff, v. ARTHUR NADEL, SCOOP CAPITAL, LLC, SCOOP MANAGEMENT, INC., Defendants. CASE NO.: 8:09-cv-0087-T-33CPT SCOOP REAL ESTATE, L.P., VALHALLA INVESTMENT PARTNERS, L.P., VALHALLA MANAGEMENT, INC., VICTORY IRA FUND, LTD, VICTORY FUND, LTD, VIKING IRA FUND, LLC, VIKING FUND, LLC, AND VIKING MANAGEMENT, LLC. Relief Defendants. / UNOPPOSED MOTION FOR ENLARGEMENT OF TIME TO FILE STATUS REPORT Burton W. Wiand (the “Receiver”), as Receiver for Quest Energy Management Group, Inc. (“Quest”), moves the Court to enlarge the time for filing his status report. Specifically, on August 9, 2019, the Court granted the Receiver’s motion for sell the majority of Quest’s assets and ordered the parties to “file a status report by August 16, 2019, regarding the status of the proceedings and the necessity of further judicial involvement, especially as it concerns judicial involvement following completion of the contemplated sale of Quest Energy Management Group, Inc.” Doc. 1408. The Receiver moves the Court to extend that deadline by five days from August 16, 2019 until August 21, 2019. The Receiver requests this brief extension because he has been out of the country and requires additional time to apprise the Court about developments in the Quest Receivership and the need for further judicial involvement. This request is not being made for purposes of delay and will not prejudice any party. WHEREFORE, the Receiver respectfully requests that the Court enter an order enlarging the deadline to file the status report from August 16, 2019 until August 21, 2019. LOCAL RULE 3.01(g) CERTIFICATION The Receiver has conferred with counsel for the SEC and is authorized to represent to the Court that the SEC does not oppose the relief requested in this motion. s/Jared J. Perez Jared J. Perez, FBN 0085192 jperez@wiandlaw.com WIAND GUERRA KING P.A. 5505 West Gray Street Tampa, FL 33609 Tel.: (813) 347-5100 Fax: (813) 347-5198 Attorney for the Receiver, Burton W. Wiand 2 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on August 15, 2019, I electronically filed the foregoing with the Clerk of the Court by using the CM/ECF system. s/Jared J. Perez Attorney 3

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