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


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Pages: 3
Date: May 7, 2004
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
Word Count: 459 Words, 2,801 Characters
Page Size: 612.72 x 1008 pts
URL

https://www.findforms.com/pdf_files/ctd/22904/37.pdf

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Preview Motion for Extension of Time - District Court of Connecticut
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I _ . ase 3:03-cv-009745CFD Document 37 Filed 05/O3/2004 Page 1 of 3 I
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UNITED STATES DISTRICT D I I
DISTRICT OF CONNECTICUT E
I AMERICAN BOARD OF : IIIIIIICIIIII/III: gC30€Nl I
ANESTHESIOLOGY, INC. ; U·S§{j)ffg({]m 9T4Eq&IB)T
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Plaintiff, : I
JOHN STEPHEN NAULTY, M.D. ·
Defendant. MAY 6, 2004
MOTION, ON CONSENT, FOR EXTENSION OF TIME I
Pursuant to Local Rule 7 of the Local Rules of Civil Procedure for the District of
Connecticut, the plaintiff, the American Board of Anesthesiology, Inc. (the "ABA"), I
respectfully moves this Court, on consent of the defendant, for an extension of the May 7, I
2004 deadline by which the parties must finalize and tile an appropriate notice of dismissal 5
with the Court, by 14 days, up to and including May 21, 2004. I
Good cause exists for the granting of this limited extension of time. The terms for I
settlement of this action initially were established at the settlement conference conducted by
the Honorable Thomas P. Smith on March 25, 2004. The parties have been working
diligently to finalize the settlement of this action, since that time, but require this limited,
additional extension of time in order to complete that process.
This is the second request made by a party relating to this deadline. The undersigned
counsel has spoken to Attorney Carolyn Kone, counsel for the defendant, who indicated that
the defendant consents to the filing of this Motion.
II ORAL ARGUMENT NOT REQUESTED
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__ » · ase 3:03-cv-OOQZ4-\CFD Document 37 Filed 05/@@2004 Page 2 of 3 ;
WHEREFORE, the ABA respectfully requests an extension of the May 7, 2004 I
deadline by which the parties must finalize and tile an appropriate notice of dismissal with the
Court, by 14 days, up to and including May 21, 2004.
PLAINTIFF,
AMERICAN BOARD OF ANESTHESIOLOGY,
INC.

harles L. Howard
Fed. Bar No. ct05366
Karen T. Staib
Fed. Bar No. ct21119 ‘
Shipman & Goodwin LLP
One American Row
Hartford, CT 06103
Telephone: (860) 251-5000
Facsimile: (860) 251-5699
E-mail: [email protected]
E-mail: [email protected]
Its Attorneys

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» · ase 3:O3—cv-OO9?43CFD Document 37 Filed 05/@66004 Page 3 of 3 N
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CERTIFICATION OF SERVICE `
This is to certify that on this 6“‘ day of May 2004, a copy ofthe foregoing Motion, On
Consent, for Extension of Time was served via U.S. mail, postage prepaid, to:
Carolyn W. Kone
Kenneth Rosenthal
Bremer, Saltzman & Wallman
271 Whitney Avenue
New Haven, CT 06511 y
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Karen T. Staib
E
371282 v.01 I

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