Professional Documents
Culture Documents
Case No.:14-020902
Division 11
Vs.
THOMAS J. DONNELLAN, JR., VIRGINIA G.
DONNELLAN, UNKNOWN TENANT in POSSESSION #1
and UNKNOWN TENANT IN POSSESSION #2
Defendant,
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DEFENDANT THOMAS J. DONNELLAN, JR., AND VIRGINIA G. DONNELLANS
MOTION TO ENLARGE TIME
Defendants Thomas J. Donnellan, Jr., and Virginia G. Donnellan request that this court extend
the time allowed for Defendants to file a response to the Plaintiffs complaint in the Referenced
case until December 15th, 2014 and states as follows:
1. Defendants are representing themselves.
2. For the above reason, Defendants request that the court grant until December 15 th,
2014 to allow them to confer with and obtain proper counsel and respond to the
Plaintiffs Complaint in order to protect Defendants personal and real property rights
and interests in this action
WHEREFORE, Defendants request that this court enlarge the time for filing their response to
the Plaintiffs Complaint until December 15th, 2014
Certificate of Service
The Undersigned certifies that the foregoing was sent November 21st, 2014 via U.S. Mail to:
Mikal Hirsch
Attorney for Plaintiff