Filing 261

Unopposed MOTION for Extension of Time to November 5, 2008 to Respond to Written Discovery, filed by Plaintiff STELOR PRODUCTIONS, LLC., Counter Defendant STELOR PRODUCTIONS, LLC.. (Attachments: # 1 Text of Proposed Order)(Dorelli, Michael)

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STELOR PRODUCTIONS, INC. v. OOGLES N GOOGLES et al Doc. 261 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF INDIANA INDIANAPOLIS DIVISION STELOR PRODUCTIONS, LLC., ) ) Plaintiff/Counter-Defendant, ) ) v. ) ) OOGLES N GOOGLES FRANCHISING, LLC ) an Indiana limited liability company, et. al. ) ) Defendants/Counter-Plaintiffs. ) ) ) ) Case No. 1:05-cv-0354-DFH-TAB UNOPPOSED MOTION FOR ENLARGEMENT OF TIME TO RESPOND TO WRITTEN DISCOVERY The Plaintiff/Counter-Defendant, Stelor Productions, LLC ("Stelor"), by the undersigned counsel, hereby requests a thirty (30) day enlargement of time to respond to the additional one hundred requests for production, totaling two hundred and twenty requests, and the additional one hundred and sixty six interrogatories, totaling one hundred and ninety interrogatories, that Defendants/Counter-Plaintiffs served on Stelor on August 29, 2008. Stelor's responses to the written discovery are currently due on or before October 6, 2008. Pursuant to the agreed enlargement requested herein, Stelor's responses will be due on or before November 5, 2008. Counsel for Stelor has contacted counsel for Defendants/Counter-Plaintiffs today and determined that Defendants/Counter-Plaintiffs have no objection to the enlargement requested herein. WHEREFORE, Plaintiff/Counter-Defendant, Stelor Productions, LLC, by counsel, respectfully requests that this Court enlarge the time in which Plaintiff/Counter-Defendant has to respond to Defendants/Counter-Plaintiffs' additional written discovery requests, to and including November 5, 2008, in addition to granting all other proper relief. Respectfully submitted: s/Michael A. Dorelli John David Hoover, Attorney No. 7945-49 Michael A. Dorelli, Attorney No. 20862-49 HOOVER HULL LLP 111 Monument Circle, Ste. 4400 P.O. Box 44989 Indianapolis, IN 46244-0989 Phone: (317) 822-4400 Fax: (317) 822-0234 E-mail: Of counsel: Robert Merz Stelor Productions, LLC 19110 Montgomery Village Avenue, #320, Montgomery Village, MD 20886 Tel: (301) 963-0000 Fax: (301) 740-7552 Email: b.merz@stelorproductionscom Attorneys for Plaintiff, Stelor Productions, LLC. 2 CERTIFICATE OF SERVICE I hereby certify that on October 1, 2008, a copy of the foregoing was filed electronically, and that notice of this filing will be sent to the following party by operation of the Court's electronic filing system. Parties may access this filing through the Court's system. Stephen L. Vaughan s/ Michael A. Dorelli 3

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