Case 3:03-cv-00620-DFM
Document 32
Filed 10/25/2005
Page 1 of 3
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
EFRAIN HERNANDEZ v. JOHN J. ARMSTRONG, ET AL.,
: : :
CIVIL NO. 3:03CV620 (DFM)
October 24, 2005
MOTION FOR ENLARGEMENT OF TIME
The defendants, John Armstrong, et al., hereby move for an enlargement of time, until November 4, 2005, in which to respond to the plaintiff's motion for summary judgment. In support of this motion, the undersigned represents that, since his original motion for enlargement, he has been scheduled to proceed in an injunction hearing in New London Superior Court on October 24, 2005, and has been scheduled to argue in the Connecticut Appellate Court the following day. Preparation for these proceedings has created the need for additional time. The plaintiff, appearing pro se, is incarcerated, and therefore the undersigned has not ascertained his position on this motion. This is the defendants' second motion for enlargement of time to file an opposition to the plaintiff's motion for summary judgment. WHEREFORE, for the foregoing reasons, the defendants' motion should be granted.
Case 3:03-cv-00620-DFM
Document 32
Filed 10/25/2005
Page 2 of 3
DEFENDANTS JOHN ARMSTRONG
RICHARD BLUMENTHAL ATTORNEY GENERAL
BY:
______/s/__________________________ Terrence M. O'Neill Assistant Attorney General 110 Sherman Street Hartford, CT 06105 Federal Bar #ct 10835 E-Mail: [email protected] Tel: (860) 808-5450 Fax: (860) 808-5591
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Case 3:03-cv-00620-DFM
Document 32
Filed 10/25/2005
Page 3 of 3
CERTIFICATION I hereby certify that a copy of the foregoing was mailed to the following on this 24th day of October, 2005: Efrain Hernandez, No. 155161 Radgowski CI 986 Norwich-New London Tpke Uncasville, CT 06080
_______/s/___________________________ Terrence M. O'Neill Assistant Attorney General
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