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Legal Motion for Service Extension

This motion requests a 60-day extension to serve summons and complaint on three defendants. It argues that service may have already occurred prior to removal of the case to federal court according to Wisconsin statutes. Alternatively, it seeks additional time to serve the defendants under the Federal Rules of Civil Procedure. The plaintiff also requests discovery and a hearing regarding disputes over whether proper service was performed.
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0% found this document useful (0 votes)
241 views2 pages

Legal Motion for Service Extension

This motion requests a 60-day extension to serve summons and complaint on three defendants. It argues that service may have already occurred prior to removal of the case to federal court according to Wisconsin statutes. Alternatively, it seeks additional time to serve the defendants under the Federal Rules of Civil Procedure. The plaintiff also requests discovery and a hearing regarding disputes over whether proper service was performed.
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IN THE UNITED STATES DISTRICT COURT

FOR THE EASTERN DISTRICT OF WISCONSIN


MILWAUKEE DIVISION
______________________________________________________________________________

ANDREW L. COLBORN,
Plaintiff
vs.

NETFLIX, INC., Case No. 19-CV-484


CHROME MEDIA, LLC, f/k/a
SYNTHESIS FILMS, LLC,
LAURA RICCIARDI, and
MOIRA DEMOS,

Defendants.

MOTION (IN THE ALTERNATIVE) TO EXTEND TIME FOR SERVICE


OF SUMMONS AND COMPLAINT PURSUANT TO [Link]. 4(m)
______________________________________________________________________________

Plaintiff, by and through his undersigned counsel and pursuant to Federal Rule of Civil

Procedure 4(m), hereby respectfully moves the Court, in the alternative and in the event that the

Court does not conclude upon consideration of the Motion to Dismiss filed by Defendants

Chrome Media, LLC, f/k/a Synthesis Films, LLC, Laura Ricciardi, and Moira Demos that

service of process of the Summons and Complaint in the above proceedings was accomplished

on those Defendants prior to removal of this action and in accordance with Wisconsin Statutes,

for an extension of time of sixty (60) days from the current deadline of July 2, 2019 (or from

such other tolled deadline as may apply due to filing of Defendants’ Motion to Dismiss), to

accomplish service on said Defendants, pursuant to the Federal Rules of Civil Procedure and

specifically Federal Rule of Civil Procedure 4(m).

Defendants further request an opportunity to conduct discovery regarding service of

process and regarding the statements made in Defendants’ and Defendants’ witnesses’

Case 1:19-cv-00484-PP Filed 05/31/19 Page 1 of 2 Document 51


declarations, as well as an evidentiary hearing to determine any factual disputes relating to

service.

This motion is based on the facts set forth in the Statement of Facts Pertinent to Service

of Process in the brief filed by Plaintiff this date, together with the supporting declarations of

Andrew Colborn, Michael C. Griesbach, George Burnett, and April Rockstead Barker filed this

date and the previously-filed declarations of Debra L. Bursik and Carlos Caceres, together with

all other pleadings and documents of record, and is further based on the argument contained in

the brief filed this date, and particularly Sections II.C and IV thereof.

Dated this 31st day of May, 2019.

LAW FIRM OF CONWAY, OLEJNICZAK & JERRY, S.C.


Attorneys for Plaintiff, Andrew L. Colborn

By: s/George Burnett


George Burnett
POST OFFICE ADDRESS:
231 S. Adams Street
Green Bay, WI 54301
P.O. Box 23200
Green Bay, WI 54305-3200
Phone: (920) 437-0476
Fax: (920) 437-2868
State Br No. 1005964

GRIESBACH LAW OFFICES, LLC


Attorney Michael C. Griesbach
State Bar No. 01012799
PO Box 2047
Manitowoc, WI 54221-2047
(920) 320-1358

SCHOTT, BUBLITZ & ENGEL, S.C.


Attorney April Rockstead Barker
State Bar No. 1026163
640 W. Moreland Blvd.
Waukesha, WI 53188-2433
(262)-827-1700

Case 1:19-cv-00484-PP Filed 05/31/19 Page 2 of 2 Document 51

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