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


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Date: October 16, 2003
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State: Connecticut
Category: District Court of Connecticut
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_ ,. _, Case 3:03-cv-O07€5SFiU Document 12 Filed 10/6652003 Page1 of3 i

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UNITED STATES DISTRICT COUR'@5_f; A 1___ - _ p ‘ __
DISTRICT OF CONNECTICUT I I I I I I
P. Edgardo Tarrats, : Civ. No. 3 :03CV0074l(SRU) I
Plaintiff, ; W
V. . I I
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Hector V. Barreto, Administrator, : I
U.S. Small Business Administration, : '
Defendant. : October 15, 2003
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PLAINTIFF’S FIRST MOTION FOR
EXTENSION OF TIME
TO DISCLOSE EXPERTS
Pursuant to L.Civ.R. 7(b), the plaintiff requests an extension of time for the parties to l
disclose expert witnesses. The parties have been engaged in serious settlement discussions
during the month of September, 2003, and also are preparing for a settlement conference with
Magistrate Garlinlcel on November 4, 2003. The patties agreed to refrain from conducting
discovery during this time of intense negotiations. However, pursuant to the current scheduling I
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order entered in this matter, the plaintiff is scheduled to have to disclose his experts prior to the I
scheduled settlement conference. Therefore the plaintiff asks for a short extension of time in I
which to disclose experts, which will not impact the rest ofthe scheduling orders.
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. , _ Case 3:03-cv-O07€4,§SFiU Document 12 Filed 10/@@2003 Page 2 of 3
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The plaintiff requests extensions as follows: I
Current Deadline for plaintiff to disclose expert(s): November 1, 2003
and to be deposed by: December 31, 2003
Requested extension of time until: December 31, 2003
and to be deposed by: January 31, 2004
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Current Deadline for defendant to disclose expert(s): January 31, 2004
and to be deposed by: March 1, 2004
I Requested extension of time until: Febmary 15, 2004
and to be deposed by: March 15, 2004 I
The extensions of time noted above will not impact the end date of discovery set in this I
matter, The plaintiff has contacted counsel for the defendant, Carolyn A. Ikari, Esq. who has no i
objection to the granting of this motion.
Plaintiff;
P. EDGARDO TARRATS I
By @;tt&>,¤.a GI. {sie I
Andrea A. Hewitt
Fed. Bar No. ct071 56
John M. Wolfson I
Fed. Bar No. ct03538 I
SAN TIAGO LAW GROUP LLC I
One Constitution Plaza, Suite 900 E
Hartford, CT 06103 I
Tel. (860) 547-1331 I
Fax (860) 713-8905
His Attorneys i
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. .1 . ,. Case 3:03-cv-00764-ESRU Document 12 Filed 10/@@2003 Page 3 of 3
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cERT1F1cAT10N l
This is to certify that a copy of the foregoing has been mailed, postage prepaid, U.S. first
class mail on this the IS"' day of October, 2003, to all pro se parties and counsel of record as
follows:
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Carolyn A. Ikari i
Asst. U.S. Attorney 1
450 Main Street, Room 328 1
Hartford, CT 06103
(860) 947-1101
[2;[email protected] (1. 1§l.1M&
Andrea A. Hewitt, Esq.
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