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  • Figuero Vs Mandalay On The Hudson CondominiumPersonal Injury document preview
  • Figuero Vs Mandalay On The Hudson CondominiumPersonal Injury document preview
  • Figuero Vs Mandalay On The Hudson CondominiumPersonal Injury document preview
  • Figuero Vs Mandalay On The Hudson CondominiumPersonal Injury document preview
						
                                

Preview

ESX L 004699-17 07/24/2018 Pglof2 Trans ID: LCV20181283416 ESX-L-004699-17 07/03/2018 1:49:05 PM Pg 1 of2 Trans ID: LCV20181161358 Nehal Modi, Esquire — 016542005 STEVEN P. HADDAD, P.C. Attomeys at Law 100 West Pond Rd. Woodbridge, NJ 08861 Tel: (732) 933-3535/ Fax: (732) 933-3536 Attorneys for Plaintiff MALENI FIGUERO, SUPERIOR COURT OF NEW JERSEY LAW DIVISION: ESSEX COUNTY Plaintiff, DOCKET NUMBER: ESX-L-4699-17 Vs. CIVIL ACTION MANDALAY ON THE HUDSON CONDOMINIUM ASSOCIATION and/or JOHN DOES 1-10 (being fictitious persons ORDER unknown at this time) and/or ABC CONDOMINIUM ASSOCIATION 1-10 (being fictitious entities unknown at this time), MANDALAY ON THE HUDSON (being fictitious entities unknown at this time), | LE CRYSTAL POINT RESTAURANT/BAR LLC (being fictitious entities unknown at this time) and CELSO BARBOSA and/or JOHN JUL 20 2018 DOES 11-20 (being a fictitious person unknown at this time, GHI CONSTRUCTION ' wea atest COMPANY (being fictitious entities unknown oe Hon. Keith E. Lynott, J.S.C. deel at this time), JKL MAINTENANCE COMPANY (being fictitious entities unknown at this time). Defendants. THIS MATTER having been opened to the Court by Steven P. Haddad, P.C., attorneys for Plaintiff, on notice to Defendant and the Court having reviewed the moving papers and oppesing-papers-ifany), and for exceptional circumstances shown, IT IS on this 20 day of S3y 2018, ORDERED that arbitration scheduled for September 18, 2018 is adjourned and discovery is hereby extended for an additional one hundred twenty (120) days to November 30, ESX L 004699-17 07/24/2018 Pg2of2 Trans ID: LCV20181283416 ESX-L-004699-17 07/03/2018 1:49:05 PM Pg 2 of 2 Trans 1D: LCV20181161358 2018 to allow the following: 1 Depositions of fact witnesses and Defendant's representatives shall take place by August 30, 2018; 2. Plaintiff shall serve a report from her medical and liability expert by September 28. 2018; 3. Defendant shall serve its medical and/or liability expert reports by October 31 2018; 4. Depositions of experts shall take place by November 20, 2018; 5. Any further discovery that may be necessary as a result of the foregoing shall be completed on or before November 30, 2018 and, it is further, ORDERED that a copy of the within Order be deemed served upon all parties upon its online posting of same. KeIy 2. el JS.C \ Unopposed Opposed ———=