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IN THE COUNTY COURT OF THE ___________ JUDICIAL CIRCUIT, IN AND FOR ___________ COUNTY, FLORIDA CIVIL DIVISION CASE

NO: BAR NO.: Plaintiff, vs. . Defendants, ______________________________________/ DEFENDANTS MOTION FOR ENLARGEMENT OF TIME TO RESPOND TO COMPLAINT COMES NOW, Defendants, , and , pursuant to Florida Rule of Civil

Procedure 1.090, respectfully move this Court for an enlargement of time to respond to Plaintiffs Complaint, and states as follows: 1. 2. Defendants responses are due on ____________. This complaint involves allegations, which involve documents and other forms of evidence necessary and material to the defenses to be properly plead by the Defendants. 3. Undersigned counsel requests a thirty (30) day enlargement of time, to investigate and properly prepare a response to Plaintiffs Complaint. WHREFORE, Defendant, respectfully moves this Honorable Court for an order granting an enlargement of time to serve its responsive pleading to the Complaint. CERTIFICATE OF SERVICE

I HEREBY CERTIFY that a true and correct copy of the foregoing was mailed this ___th day of ____________ to _________________________, Attorney for the Plaintiff, at ______________________. Respectfully Submitted, ______________________________________, P.A. Attorneys for the Defendants ______________________________ ______________________________ ______________________________

By:

______________________________________ _________________________, ESQ.