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


File Size: 50.7 kB
Pages: 2
Date: November 7, 2003
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
Word Count: 409 Words, 2,189 Characters
Page Size: 612.72 x 1008 pts
URL

https://www.findforms.com/pdf_files/ctd/22524/22.pdf

Download Motion for Extension of Time - District Court of Connecticut ( 50.7 kB)


Preview Motion for Extension of Time - District Court of Connecticut
l iiii
Case 3:03-cv-OO4(@wlCH Document 22 Filed 10/$@003 Page 1 of 2
I UNITED STATES DISTRICT COURT i
Inn} uct Bl I3 3: 2b I
DISTRICT OF CONNECTICUT
US Ulf;"l'I"*lTj`" "
= PRISONER sazrisanizizirz iii?
ANGEL CABALLERO, JR, : CIVIL NO3:03CV407(JCH)(HB )
3 Plaintmf : E
Ei V. 2 i
_ I JOHN ARMSTRONG ET AL,
( Defendant. : OCTOBER 30, 2003
I i DEFENDAN'[`S’ MOTION FOR ENLARGEMENT OF
p TIME TO FILE RESPONSES TO REQUESTS FOR PRODUCTION
Pursuant to D. Conn. L. Civ. R. 7(b), and Rule 34 of the Federal Rules of Civil Procedure
the defendants John Armstrong et al respectfully move for a thirty day enlargement of time to
object to and respond to the Requests for Production dated September 25, 2003 filed by plaintiff i
A in this ease. Defense counsel recently filed 2 briefs with the Connecticut Appellate Court and
two briefs with the Connecticut Supreme Court. In addition, she is counsel on the matter Office
5 1 of Protection and Advocacy v. Choinski et al 3:03CVl352. There have been several meetings
L l I
i between counsel in this matter and it is taking a lot of defense counsel’s time.
i
- l In addition, she is responsible for approximately 140 other matters which are pending
i 1 before the federal courts, state courts and the Office ofthe Claims Commissioner.
i Wherefore, all the foregoing reasons, defendants seek an enlargement of time until I
November 22, 2003 to file their answers and objections to plaintiff s request for production of
i documents in this matter. p l l 5
i

I I I
I Case 3:03-cv-OO4@CH Document 22 Filed 10/{@003 Page 2 of 2 I
I DEEENDANTS I
I Jolm Armstrong et al I
RICHARD BLUMENTHAL
I ATTORNEY GENERAL
I s I I
I BY: Lynch I
I Assistant Att , General I
I 110 Sherm . eet
I Hartford, CT 06105
Tel: (860) 808-5450 I
I Federal Bar No. Ct#08326 Z
E-mail: [email protected]
CERTIFICATION
I I hereby certify that a copy of the foregoing was mailed this@ October, 2003, I
first class postage prepaid, to: I
Angel Caballero, Jr. I
#214362 -
I Northern Correctional Institution I
287 Bilton Road -
I 1>.o. E6); 665
‘ I Somers CT 06071
. - "
I I E. L 6
- I Assistant 0 ey General
I
I
I I
“ I
i I
2 I