Plaintiff’s Complaint
Pursuant to Rule 6(b) of the North Carolina Rules of Civil Procedure. Defendant Cyberlux Corporation (hereinafter collectively referred to as "Defendant") respectfully moves this Court for an order extending the time, though and including...
DISTIL analysis
- Defendant Cyberlux Corporation seeks extension to respond to plaintiff's complaint through June 24, 2025
- Motion filed pursuant to NC Rule of Civil Procedure 6(b) on May 23, 2025
- Defense counsel represents that original deadline has not expired and no prior extensions obtained
- Motion asserts good faith basis with no intent to delay
- Typographical error appears stating deadline as 'June 24, 2024' instead of 2025 in one instance
Extracted text
2 pages · 1975 charactersSTATE OF NORTH CAROLINA DURHAM COUNTY
IN THE GENERAL COURT OF JUSTICE SUPERIOR COURT DIVISION FILE NO. 25CV004246-310
THE ARG GROUP, LLC.
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Plaintiff,
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V.
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CYBERLUX CORPORATION.
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Defendant.
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DEFENDANT'S MOTION FOR EXTENSION OF TIME TO RESPOND TO PLAINTIFF'S COMPLAINT
Pursuant to Rule 6(b) of the North Carolina Rules of Civil Procedure. Defendant Cyberlux Corporation (hereinafter collectively referred to as "Defendant") respectfully moves this Court for an order extending the time, though and including June 24, 2025, within which to serve an answer or other responsive pleading.
In support of this Motion, Defendants respectfully show that the time within which to answer or otherwise respond to Plaintiffs' Complaint has not expired; that the City Defendants require additional time to prepare its answer or other responsive pleading; that no prior extensions of time have been obtained; and that this motion is being made in good faith and not for purposes of delay.
WHEREFORE, Defendant respectfully requests that its motion for extension of time be granted and that an order be entered extending their time through and including June 24, 2024, within which to serve their answer or other responsive pleading.
This the 23 day of May 23, 2025.
AuSale Chuck Watts (NC Bar #21766) 732 Ninth Street #553 Durham, NC 27705 CDWatts@me.com Telephone: 919-491-0560
CERTIFICATE OF SERVICE
I hereby certify that I have served a copy of the foregoing MOTION FOR EXTENSION OF TIME upon all parties to this action by depositing a copy thereof in the United States mail, first-class postage prepaid, addressed as follows:
Christian Lunghi Post Office Box 20248 Raleigh, NC 27619 CLungi@@andersonandjones.com Attorney for Plaintiff
This the day of May, 2025. ANDLA Chuck Watts (NC Bar #21766) 792 Ninth Street #553 Durham, NC 27705 CDWatts@me.com Telephone: 919-491-0560
Original source file
- File
- cm-arg-v-cyberlux-durham-nc-exhibit-2.pdf
- Source UID
- source:3ebb7b24723a830fd3a228065aa2ce27b5a12c486e4e931c6ac9ffd2d84889a7
- Full SHA-256
- 3ebb7b24723a830fd3a228065aa2ce27b5a12c486e4e931c6ac9ffd2d84889a7