Free Motion for Extension of Time - District Court of Connecticut - Connecticut


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Date: April 23, 2004
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State: Connecticut
Category: District Court of Connecticut
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Case 2:92-cv-00214-PCD

Document 144

Filed 04/26/2004

Page 1 of 3

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF CONNECTICUT AMNESTY AMERICA, et al., Plaintiffs, vs. TOWN OF WEST HARTFORD, Defendant. : APRIL 23, 2004 : NO. 2:92CV00214(PCD)

MOTION FOR EXTENSION OF TIME Defendant Town of West Hartford respectfully moves for an extension of time of ten (10) days, until May 19, 2004 to submit compliance with Part C of the Court's Trial Preparation Order which presently is due May 5, 2004. This extension is necessary because trial counsel, Scott Karsten, will be out of the country on a pre-paid, pre-arranged trip through May 2, 2004 and immediately upon his return has several matters scheduled that will prevent his completion of defendant's compliance. The requested extension should not

interfere with the start of the trial of this matter since the Court has indicated trial would begin sometime after June 1, 2004. This is the first such request for an extension.

Case 2:92-cv-00214-PCD

Document 144

Filed 04/26/2004

Page 2 of 3

In accordance with Local Rule of Civil Procedure 7(b), the undersigned telephoned plaintiff's attorney, John Williams on April 23, 2004, but was unable to ascertain his position as to this motion. DEFENDANT, TOWN OF WEST HARTFORD

BY_____________________________ Nicole D. Dorman Federal Bar No.: ct07030 Sack, Spector & Karsten 836 Farmington Avenue West Hartford, CT 06119 [email protected]

Case 2:92-cv-00214-PCD

Document 144

Filed 04/26/2004

Page 3 of 3

CERTIFICATION This is to certify that a copy of the foregoing has been mailed, postage prepaid, this 23rd day of April, 2004, to the following counsel of record: John R. Williams, Esquire Williams & Pattis, LLC 51 Elm Street New Haven, CT 06510 Patrick G. Alair, Esquire Office of the Corporation Counsel Town of West Hartford 50 South Main Street West Hartford, CT 06107

_____________________________ Nicole D. Dorman