Call us Today at (954) 458-8655

PLAINTIFF’S MOTION TO BE EXCUSED FROM THE FIRST WEEK OF THE TRIAL DOCKET

PLAINTIFF’S MOTION TO BE EXCUSED FROM THE FIRST WEEK OF THE TRIAL DOCKET


IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA

CASE NO.: XX

ROBERT JONES,

Plaintiff,

 

AMUSEMENT PARKS, LLC.,

Defendant.

____________________________________/

 

PLAINTIFF’S MOTION TO BE EXCUSED FROM THE FIRST WEEK OF THE TRIAL DOCKET

 

Plaintiff, ROBERT JONES, by and through undersigned attorney, and files this Motion to Be Excused from the First Week of the Trial Docket, and states as follows:

  1. This matter is currently schedule for the four-week trial period XX, 20__ through XX, 20__.
  2. Counsel for Plaintiff is schedule to be on vacation from XX, 20__ and will not return until XX, 20__. There is no court on XX, 20__.

WHEREFORE, Plaintiff requests this Court excuse counsel from the trial docket on XX, 20__.

CERTIFICATE OF SERVICE

I HEREBY CERTIFY that a true and correct copy has been mailed and/or faxed this _____ day of XX, 20__ to: XX

LAW OFFICE OF ALAN D. SACKRIN

Attorney for Plaintiff

2100 East Hallandale Beach Blvd. /Suite 200

Hallandale Beach, FL  33009

 

By:                                                                  

ALAN D. SACKRIN

/kb

 

Do You Have a Question?

Call us at 954-458-8655.  We promise to get back to you promptly.  Ask now.

The pleading above is a sample document related to a specific set of facts and circumstances and should not be used or relied upon for any personal injury matter. This document is being provided for illustrative purposes only. We recommend and urge you to consult with an experienced personal injury lawyer for professional advice as each case is unique.

To Learn About Alan’s Qualifications as a Personal Injury Lawyer, See His About Me Page.