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Case 1:11-cv-20120-PAS Document 64 Entered on FLSD Docket 10/12/2011 Page 1 of 6

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF FLORIDA CASE NO.: 11-20120-CIV-SEITZ/SIMONTON TRAIAN BUJDUVEANU, Plaintiff, vs. DISMAS CHARITIES, INC., ANA GISPERT, DEREK THOMAS and ADAMS LESHOTA Defendants. _________________________________________/ DEFENDANTS DISMAS CHARTIES, INC., ANA GISPERT, DEREK THOMAS AND ADAMS LESHOTAS MOTION TO STRIKE PLAINTIFFS MOTIONS TO COMPEL, SUPPLEMENTAL MOTIONS AND MOTION TO STAY DISCOVERY FROM PLAINTIFF Defendants Dismas Charities, Inc., Ana Gispert, Derek Thomas and Lashanda Adams, incorrectly identified as Adams Leshota (collectively Defendants) by and through their undersigned counsel, file their Motion to Strike Plaintiffs Motions to Compel, Supplemental Motions and Motion to Stay Discovery from Plaintiff and state as follows: 1. Plaintiff, a former Federal Inmate, has filed a vague and confusing lawsuit against

his Community Correction Center/Half Way House, Dismas, and three of its employees, Gispert, Thomas and Lashanda Adams. The Complaint contains 50 paragraphs of factual allegations filed by a laundry list of four alleged Federal Theories of Recovery and six alleged state law theories of recovery. However, the Plaintiff cannot maintain any State or Federal cause of action against any defendant. The Defendants have filed a motion to dismiss the lawsuit which has been briefed and pending ruling since June 5, 2011. Defendants believe that the disposition of

Case 1:11-cv-20120-PAS Document 64 Entered on FLSD Docket 10/12/2011 Page 2 of 6

CASE NO.: 11-20120-CIV-SEITZ/SIMONTON that Motion will bring and end to this lawsuit and the need for discovery and ruling on the Plaintiffs discovery motions. 2. Despite the fact that the Defendants timely and properly responded to all

discovery, Plaintiff filed four separate Motions and Supplemental Motions regarding Defendants discovery response. (See Docket Numbers 53, 58, 60 and 61). 3. The filing of these motions has required the Defendants to respond to all motions

while their motion to dismiss has been pending since June, 2011. This has resulted in significant cost and time to Defendants and their counsel. 4. The Plaintiff, in filing these discovery Motions, has violated the Order Setting

Trial Date, Pretrial Deadlines and Referral to Magistrate, docket number 44. 5. The Discovery Procedures for Magistrate Simonton, section C, No Written

Motions, specifically states that: No written discovery motions, including motions to compel and motions for protective order shall be filed unless requested by Magistrate Judge Simonton. It is the intent of this procedure to minimize the necessity of Motions. 6. Despite the Courts order, the Plaintiff continues to file discovery motions to

compel even though the Magistrate has not requested a motion to compel. 7. Each time a motion is filed the Defendants counsel receives electronic notice

from the Clerk of the Court of the Motion along with a date a response is required. Defendants have timely complied with the Clerks request to protect their rights, even though the Plaintiffs motions are legal nullities (because no motions to compel were requested by the Magistrate).

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CASE NO.: 11-20120-CIV-SEITZ/SIMONTON 8. As the Plaintiff has improperly filed discovery motions absent any request for a

motion from the Magistrate Judge, the Plaintiffs Motions (Docket numbers 53, 58, 60 and 61) must be stricken. 9. Plaintiff should be ordered not to file any additional discovery motions unless

instructed to do so by the Magistrate. 10. Plaintiff should also be sanctioned for improperly filing motions, including the

Defendants attorneys fees to respond to the Motions, as per the deadlines set by the Clerk of Court electronically. 11. As a Motion to Dismiss is pending and the Plaintiff has propounded the allotted

amount of 25 interrogatory questions, counting subparts to each Defendant, the Plaintiff should be stayed and prohibited from propounding additional discovery. This is especially true because if the Motion to Dismiss is granted, the lawsuit may become a legal nullity. 12. Defendants have had to spend time and attorneys fees responding to discovery

concerning a complaint that may be dismissed. Accordingly, equity demands that the Plaintiff be stayed from propounding additional discovery until the Court rules on Defendants Motion to Dismiss the Complaint.

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CASE NO.: 11-20120-CIV-SEITZ/SIMONTON

WHEREFORE, Defendants Dismas Charities, Inc., Ana Gispert, Derek Thomas and Lashanda Adams, incorrectly identified as Adams Leshota respectfully request that Plaintiffs Motion be denied and that the Court grant any further relief it deems appropriate, including sanctions against the Plaintiff. EISINGER, BROWN, LEWIS, FRANKEL, & CHAIET, P.A. Attorneys for Defendants 4000 Hollywood Boulevard Suite 265-South Hollywood, FL 33021 (954) 894-8000 (954) 894-8015 Fax BY: /S/ David S. Chaiet____________ DAVID S. CHAIET, ESQUIRE FBN: 963798

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CASE NO.: 11-20120-CIV-SEITZ/SIMONTON

CERTIFICATE OF SERVICE I HEREBY CERTIFY that on the 12th day of October, 2011, I electronically filed the foregoing document with the Clerk of the Court using CM/ECF. I also certify that the foregoing document is being served this day on all counsel of record or pro se parties identified on the attached Service List in the manner specified, either via transmission of Notices of Electronic Filing generated by CM/ECF or in some other authorized manner for those counsel or parties who are authorized to receive electronically Notices of Electronic Filing. __/s/ David S. Chaiet_______________ DAVID S. CHAIET, ESQUIRE Florida Bar No. 963798

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CASE NO.: 11-20120-CIV-SEITZ/SIMONTON

SERVICE LIST Traian Bujduveanu v. Dismas Charities, Inc., et al. Case No..: 11-20120-CIV-SEITZ/SIMONTON United States District Court, Southern District of Florida

Traian Bujduveanu Pro Se Plaintiff 5601 W. Broward Blvd. Plantation, FL 33317 Tel: (954) 316-3828 Email: orionav@msn.com

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