Case 3:03-cv-00696-JBA
Document 83
Filed 05/11/2006
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT PRISONER CIVIL NO. 3:03CV696(JBA)(JGM)
ANTHONY TORRES v. JOHN TROMBLY, ET.AL.
: : :
MAY 10, 2006
DEFENDANTS' MOTION FOR EXTENSION OF TIME TO FILE DEFENDANTS' OPPOSITION TO MOTION FOR RELIEF FROM JUDGMENT The defendants respectfully seek a one week extension of time up to and including May 17, 2006 to file their opposition to plaintiff's motion for relief from judgment. The reason for this extension is that undersigned counsel met with staff at Northern CI on May 9, 2006, and affidavits are in the process of being reviewed by witnesses, who have to make sure they are true and accurate. Then, arrangements are to be made for those affidavits to be notarized and sent to the Office of the Attorney General. They have not yet been received as of the time of preparing this motion. In addition, undersigned counsel has two motions for preliminary injunctions due in other district court cases, and briefs due on May 15, 2006, which require the undersigned attorney to be out of the office, interviewing staff and preparing affidavits in those other cases, which are also due at the same time. The research is mostly complete on the memorandum in this case and it is anticipated that one week will be sufficient to obtain the affidavits and complete the memorandum and other opposition papers.
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Case 3:03-cv-00696-JBA
Document 83
Filed 05/11/2006
Page 2 of 2
DEFENDANTS C/O Trombly, et.al. RICHARD BLUMENTHAL ATTORNEY GENERAL BY:__/s/______________________________ Steven R. Strom Assistant Attorney General 110 Sherman Street Hartford, CT 06105 Federal Bar #ct01211 E-Mail: [email protected] Tel.: (860) 808-5450 Fax: (860) 808-5591
CERTIFICATION I hereby certify that a copy of the foregoing was mailed to the following on this 10th day of May, 2006: Anthony Torres, #246027 Northern CI POB 665 Somers, CT 06071
__/s/_____________________________ Steven R. Strom Assistant Attorney General
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