You are on page 1of 5

,:_:.

f jii
IN THE SUPERIOR COURT OF MUSCOGEE COLTNTY STATEOFGEORGIA
;,113 APR

._,.Fr

jcl

lZ

p,ri Z: t:?

;1-,,.-,.,.,.i

.... :

:,_,.r COl.tRT

|$diii

Civil Action FiIe

SU-B-DM-4o9

RESPONDENT'S APPLICATION FOR EXTENSION OF TIME TO FILE TRIAL TRANSCRIFT


COMES NOIII, Matthew Char, Respondent-Appellant in the above styled

matter, and pursuant to O.C.G.A. S 5-6-39 et seq., hereby requests a 30 day extension from April 26,2073 in order to Iile the transcript showing this
Honorable court the following:

i.
Respondent timeiy filed his Notice of Appeal on March 27,2013 and sent the attached letter to the Court Reporter offering to pay a deposit and requesting the transcript be prepared. (Exhibit R-1)
2.

The Court Reporter has not yet responded to the above ietter or telephone calls.

The initial 30 day period will expire on April 26,2013 and the Respondent believes that the transcript will not be timely prepared or filed

within the above time period.

4.

Respondent

is prepared to remit immediate pa5ment for the preparation

of the transcript and has ordered the preparation' WHEREFOR"E, the Respondent seeks a 3O day extension from April 26,

2013 in order to file the trial transcript to May 27,2013.

This

IZ

day ofApril 2013. Respectfully Submitted,

Chan, Pro Se 1639 Bradley Park Drive #500 PMB 110 Columbus, Georgia 31904 Phone: 762-359-0425

March27,2Ol3

RE:
Dear Ms, Bostie:

Linda Ellis v Mathew Chan Case No' SU-t3-DM-+og

Honorable Frank J. Jordan on February 28,2013. This letter will confirm that I have this date, filed. Notice of Appeai which !qi11 include the trial transcript and all exhibits. Therefot'e, I am requesting that you prepare the trial transcript with exhibits within 30 days of March 28, 2OL3, file the same with the court and for.ward a copy to me. If for any reason you are unable to file the above material within 30 days, please inform me as soon as possible a]1d i wili Iile a motion for and extension of time' Please inform me immediately of any deposit you may require and I will remit payment, and will pay the balance owed at the time I pick up my copy of the transcript and exhibits. If you have arly questions regarding this matter, please call me at your convenience. Thank you for your cooperation ald assistance in this matter'
Sincerely,

was the Respondent

in the above-styled matter heard before the

MC
Enclosures

Matthew Chan 1639 Bradley Park Drive #soo PMB 110 Columbus, Georyia 319O4 762-359-0425

R-1

IN THE SUPERIOR COI.IRT OF MUSCOGEE COUNTY STATE OF GEORGIA

Civil Action FiIe

SU-B-DM-4o9

ORDER
Respondent having requested an extension of time in which to file the trial

transcript pursuant to O.C.GA. 5-6-39 and for good cause shown, the time in which the
Respondent may fiIe the trial transcript is hereby extended through May 27, zor3.
So Ordered

this

day of April

zog.

Honorabie Frank J. Jordan, Jr. Superior Court of Muscogee CountSr Chattahoochee Judicial Circuit

IN THE SUPERIOR COURT OF MUSCOGEE COUNTY STATEOFGEORGIA

LINDAELLIS
Petitioner
Civil Action File

SU-rg-DM-+og
vs.

MATTHEWCHAN ndent

CERTIFICATE OF SER\TICE
This is to certifii that I have this day served the above and foregoing RESPONDENT,S APPLICATION FOR EXTENSION OFTIME TO FILE TRIAL

TRANSCRIff, by placing

a copy of same

in the U.S. Mail with ailequate postage

thereon addressed as follows:

Elizabeth McBride Page, Scrantom, Sprouse, Tucker & Ford i 1 11 Bay Avenue, Third Floor Post Office Box 1199 Columbus, Georgia 31902 This

lL-

day of April, 2013. Respectfirlly Submitted,

Matthew Chal, Pro Se 1639 Bradley Park Drive #500 PMB 110 Columbus, Georgia 31904 Phone: 762-359-0425

You might also like