WebApr 12, 2012 · The correct motion is a Motion for Sanctions. You ask the Court to impose sanctions upon him for the non-compliance with the Order to Compel Discovery. Alejandro R. Lopez, Esq. Law Office of Alejandro R. Lopez, P.A. 4465 Edgewater Dr., Suite A Orlando, Fla. 32804 (407) 649-1404 E-mail: [email protected] Web§ 180.540 Motion to compel discovery. (a) If a deponent fails to answer a question propounded, or a party upon whom a discovery request has been made fails to respond adequately, objects to a request, or fails to produce documents or other inspection as requested, the discovering party may move the ALJ for an order compelling discovery in ...
How to File a Motion to Compel (with Pictures) - wikiHow
WebIn addition, as required by Rule 1.380 (a) (2) of the Florida Rules of Civil Procedure, a motion to compel discovery must include a statement confirming for the court that requesting … WebDISCOVERY SCHEDULING ORDER (ORCD) Pursuant to WCCR 40.1, TRIAL SETTINGS, the parties hereto agree to the following discovery schedule for trial set on (date) _____. This … station hotel insch
KONISHA ROBINSON VS YUE & MEI GROUP, LLC, 2024-004755-CA …
WebMay 17, 2024 · The Rules Against Harassing Discovery. Under Florida Rules of Civil Procedure 1.280(b)–(c), 1.310(c)–(d), and 1.410, the Court may quash subpoenas and limit the scope and manner of taking discovery, and order a limitation on evidence or deposition questions, where they are conducted in bad faith or in such manner as to unreasonably … WebDistrict of Florida, copies of written interrogatories, answers and objections to interrogatories, notices of ... order is obtained compelling discovery, unexcused failure to comply with such an order is treated by the Court with special gravity and disfavor. 4 - Stays of Discovery. Normally, the pendency of a motion to dismiss or a motion for ... Web`PLAINTIFF’S MOTION TO COMPEL DISCOVERY RESPONSES ` ` ` `Plaintiff, KONISHA ROBINSON, (“Plaintiff”), pursuant to Florida Rule of Civil ` `Procedure 1.380, hereby moves this Court for entry of an Order compelling Defendant, YUE & ` `MEI GROUP, LLC, (“Defendant”), to serve verified response to the First Set of Interrogatories, ` station hotel larbert phone number