Case 1:06-cv-00008-GMS
Document 23
Filed 07/06/2006
Page 1 of 1
U.S. Department of Justice United States Attorney's Office District of Delaware
1007 N.Orange Street, Suite 700 P.O. Box 2046 Wilmington, Delaware 19899-2046
(302) 573-6277 FAX (302) 573-6220 TTY (302) 573- 6274 Toll Free (888) 293-8162
July 6, 2006 VIA E-FILING The Honorable Kent A. Jordan Lockbox 10 844 King Street U.S. Courthouse Wilmington, DE 19801 Re: White v. Marzec, No. 06-0008-KAJ (D. Del.)
Dear Judge Jordan: Enclosed is a proposed scheduling order that was agreed to by the parties in the abovereferenced Bivens action. Defendants Ronald Marzec, Tom Jacobs and Chris Quaglino, the federal law enforcement officers, continue to respectfully request that all discovery in this case be stayed until the Court has an opportunity to rule on the Defendants' assertions of qualified immunity. I am available at the call of the Court to address any questions or concerns. Respectfully, COLM F. CONNOLLY United States Attorney
By: /s/ Seth M. Beausang Seth M. Beausang (I.D. No. 4071) Assistant United States Attorney cc: Sandra White, pro se (by FedEx)
enclosure