Case 3:01-cv-02224-CFD
Document 32
Filed 03/25/2004
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UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
SHERRI PAULEY, ET AL VS. TOWN OF ANSONIA, ET AL
: : : : :
NO. 3:01CV02224 (RNC)
MARCH 16, 2004
MOTION FOR EXTENSION OF TIME The plaintiff, SHERRI PAULEY, respectfully requests an extension of time of thirty (30) days, up to and including May 5, 2004, to respond and/or object to Defendants' First Set of Interrogatories and Production Requests, dated March 5, 2004. In support of this motion, the plaintiff represents as follows: 1. She was served with Defendants' Interrogatories and Requests for
Production through counsel on or about March 6, 2004. 2. Counsel is in the process of ascertaining responses to such requests and
needs the additional time to comply with defendants' requests. 3. On March 16, 2004 this office contacted Attorney Beatrice S. Jordan,
attorney for the defendants. She indicated she had no objection to this extension of time. 4. This is the plaintiff's first request for an extension of time to respond to
Defendants' Interrogatories and Request for Production. 5. No trial date has been set in this matter.
Case 3:01-cv-02224-CFD
Document 32
Filed 03/25/2004
Page 2 of 2
THE PLAINTIFF SHERRI PAULEY
BY: ________________________________ NORMAN A. PATTIS Williams and Pattis, LLC 51 Elm Street, Suite 409 New Haven, CT 06510 (203) 562-9931 FAX: (203)776-9494 Fed Bar No. ct13120 Her Attorney
CERTIFICATION This is to certify that a copy of the foregoing was sent via first class mail, postage prepaid, on the above date, to the following counsel of record: Attorney Beatrice S. Jordan Howd & Ludorf 65 Wethersfield Avenue Hartford, CT 06114
________________________________ NORMAN A. PATTIS
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