Free Motion to Continue - District Court of Connecticut - Connecticut


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Date: December 31, 1969
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State: Connecticut
Category: District Court of Connecticut
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; Case 3:O3—cv-OO70}dF’CD Document 24 Filed O3/12/2004 Page 1 of 3
if UNITED STATES DISTRICT COURT _
t DISTRICT OF CONNECTICUT
DEBORAH E. GRAY : CIVIL ACTION NO.
~ : 3:03 CV 707 (PCD)
. PLAINTIFF :
‘ CONSUMERS INTERSTATE CORPORATION
and KENNETH FISCHBURG, Individually :
And In His Official Capacity :
K DEFENDANTS. March 10, 2004
DEFENDANTS' MOTION FOR CONTINUANCE
Defendants, Consumers Interstate Corporation and Kenneth Fischburg, respectfully
request a continuance of the settlement/status conference in the above matter currently
scheduled for March 19, 2004. Defendants request this continuance because defendant
Fischburg, who has full settlement authority as President of Defendant Consmners Interstate
Corporation, will be out of state on a prescheduled vacation on March 19, 2004 and will not
be returning until March 22, 2004. On March 2, 2004, the parties jointly filed a motion for a
referral to either a Magistrate Judge or Special Master team for a settlement conference.
Should the Court grant the pa1ties’ request for referral, the parties ask that such settlement
conference be held in lieu of the instant settlement/status conference if possible. This is the V

g Case 3:03-cv-0070}-PCD Document 24 Filed O3/12./2004 Page 2 of 3
I Defendants' iirst request for a continuance of the settlement/ status conference date. The
undersigned consulted with Cheryl Allen, legal assistant to plaintiff’ s counsel, who indicated
~ that plaintiff has no objection to the granting of this motion.
I WHEREFORE, the defendants respectfully request that their motion be granted.
_ DEFENDANTS,
I CONSUMERS INTERSTATE CORPORATION
AND KENNETH FISCHBURG,
INDIVIDUALLY AND IN HIS OFFICIAL
CAPACITY,
By ·
. Ecke
Feder Bar No. ct00021
[email protected]
Gregg P. Goumas
Federal Bar No. ctl9095
[email protected]
Shipman & Goodwin LLP ·
One American Row
Hartford, CT 06103-2819
Telephone: (860) 251-5000
Facsimile (860) 251-5599
Their Attorneys

2 Case 3:O3—cv-OO7QZ—PCD Document 24 Filed O3/12/2004 Page 3 of 3
CERTIFICATION OF SERVICE ‘
· I hereby certify that, on this 10*** day of March, 2004, a copy of the foregoing
I Defendants' Motion for Continuance was sent via first class mail, postage prepaid, to all
counsel of record, as follows:
1 Joseph Moniz, Esq.
Moniz, Cooper & McCann, LLP
100 Allyn Street
Hartford, CT 06103
1% P. Go
235406 v.01