`D.C. Superior Court
`02/16/2021 12:13PM
`Clerk of the Court
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`IN THE SUPERIOR COURT OF THE DISTRICT OF COLUMBIA
`(Civil Division)
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`MYRON WOLMARN, eral.
`Plaintiffs,
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`V. Civil Action No. 2021 CA 000220 B
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`SELDAR DC HOLDING, LLC Judge Todd E. Edelman
`Next Event: April 30, 2021
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`Defendant. Initial Conference
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`b e R . . ol e . .
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`CONSENT MOTION TO EXTEND TIME TO RESPOND TO COMPLAINT
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`COMES NOW Defendant Seldar DC Holding, LLC, by counsel and pursuant to D.C.
`Super. Ct. Civ. R. 12-1, and requests that the Court extend until March @, 2021 the time for
`Defendant 1o file a pleading in response 1o Plaintiffs’ Complaint. In suppornt of this Motion,
`Defendant states as follows:
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`1. The date by which Defendant must respond to the Complaint is February 17, 2021,
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`2. The undersigned has only recently been engaged to represent Defendant and needs
`additional time to familianze himself with this matter and to prepare a pleading in response to
`the Complaint.
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`3. Granting the relief requested herein will not prejudice Plaintiffs, as the Initial
`Conference is not scheduled to occur until April 30, 2021,
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`4. Counsel for Plaintiffs has consented to the relief requested herein.
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`5, WHEREFORE, Defendant Seldar DC Holding, LLC respectfully requests that the
`Court grant this Consent Motion and extend until March 9, 2021 the time by which it must file a
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`pleading in response to the Complaint.
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`RIS 02 O S-pOE THECN v )
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`February 16, 2021 Respectfully submitted,
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`/& Chnstopher W, Mahoney
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`Christopher W, Mahoney, #394416
`Shapiro, Lifschitz & Schram, P.C
`1742 N Street, N.W.
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`Washington, DC 20036
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`(202) 6G89-1900
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`(202) 689-1901 (facsimile)
`mahonesy@elslaw com
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`Connsel for Defendant Seldar I Holding,
`LLC
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`()
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`FUAS3 JOF (R S40E TN &0 )
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