Case 3:03-cv-00400-CFD
Document 37
Filed 08/03/2004
Page 1 of 3
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT Samuel Bowens v. : : CIVIL NO. 3:03cv400(CFD)
Mark W. Strange, et al
:
August 2, 2004
MOTION FOR EXTENSION OF TIME TO FILE MOTION FOR SUMMARY JUDGMENT The defendants in the above-captioned matter respectfully move for a forty-five day extension of time, up to and including September 15, 2004, within which to file their Motion for Summary Judgment in this lawsuit alleging improper medical care. In support of this motion, the defendants represent the following: 1. matter; 2. 3. The undersigned counsel has been extremely busy; and The undersigned counsel attempted to contact Attorney John Williams for the This is the first motion for an extension of this deadline that has been filed in this
plaintiff in order to determine his position with regard to this motion. She was informed that Attorney Williams had commenced his August vacation, and that perhaps Attorney Pattis would get back to her. Thus far, the undersigned counsel has not been able to determine plaintiff's position with regard to this motion.
Case 3:03-cv-00400-CFD
Document 37
Filed 08/03/2004
Page 2 of 3
DEFENDANTS Mark Strange, et al RICHARD BLUMENTHAL ATTORNEY GENERAL
BY:
__/s/____________________________ Lynn D. Wittenbrink Assistant Attorney General 110 Sherman Street Hartford, CT 06105 Federal Bar #ct08575 [email protected] Tel: (860) 808-5450 Fax: (860) 808-5591
2
Case 3:03-cv-00400-CFD
Document 37
Filed 08/03/2004
Page 3 of 3
CERTIFICATION I hereby certify that a copy of the foregoing was mailed first class postage prepaid to the following on this 2d day of August 2004:
John R. Williams Williams & Pattis 51 Elm St. New Haven, CT 06510
__/s/_______________________________ Lynn D. Wittenbrink Assistant Attorney General