Case 3:00-cv-02009-EBB
Document 66
Filed 04/15/2005
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UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT UNITED STATES OF AMERICA, : : Plaintiff, : : v. : : $662,310.79 IN UNITED STATES : CURRENCY SEIZED FROM ACCOUNT : NUMBER 100080907, HELD IN THE : NAME OF FRANKLIN CREDIT : SERVICES, INC., AT FIRST : TENNESSEE BANK, FRANKLIN, : TENNESSEE, ET AL : : Defendants. :
Civil No. 3:00CV2009 (EBB)
April 15, 2005
SECOND MOTION FOR EXTENSION OF TIME The Plaintiff, United States of America, hereby moves for a second extension of time within which to respond to the Receiver-Claimants' Motion for Summary Judgment. Plaintiff requests from April 18, 2005, until June 17, 2005 to file a responsive pleading. This case is related to several other civil forfeiture cases1 in which there are additional victim-claimants.2 In those related cases, the parties have agreed to extend certain deadlines pending a decision from the Mississippi Supreme Court. In that Mississippi case, Peoples, Veterans and Settlers have appealed their priority assigned by the Liquidation Court in connection with the losses sustained by various insurance and re-insurance companies as a result
United States v. $29,035,500.00 & $3,241,500.00, Civil No. 3:01CV1515 (EBB); United States v. 277 Diamonds, et al., Civil No. 3:02CV889 (EBB). Peoples Benefit Life Insurance Company, Veterans Life Insurance Company, and Huff Cook, Inc. (Settlers), collectively "Peoples, Veterans and Settlers."
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Case 3:00-cv-02009-EBB
Document 66
Filed 04/15/2005
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of the fraudulent scheme conducted by Martin Frankel and others. The Receiver-Claimants3 have agreed to an extension of time in this case in light of pendency of the Mississippi Supreme Court's decision, which will have an impact on all of the related civil forfeiture actions. This is the second motion for extension filed with respect to this deadline. Douglas Schmidt, one of the attorneys for the Receiver-Claimants, has indicated that he has no objection to the granting of this motion. Respectfully submitted, KEVIN J. O'CONNOR UNITED STATES ATTORNEY
JULIE G. TURBERT ASSISTANT U.S. ATTORNEY UNITED STATES ATTORNEYS OFFICE P.O. BOX 1824 NEW HAVEN, CT 06510 FEDERAL BAR # ct23398
International Financial Services Life Insurance Company, Franklin Protective Life Insurance Company, Family Guaranty Life Insurance Company, First National Life Insurance Company, Franklin American Life Insurance Company, Farmers and Ranchers Life Insurance Company, and Old Southwest Life Insurance Company. 2
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Case 3:00-cv-02009-EBB
Document 66
Filed 04/15/2005
Page 3 of 3
CERTIFICATE OF SERVICE This is to certify that a copy of the within and foregoing Second Motion for Extension of Time has been mailed, postage prepaid, this 15th day of April, 2005, to: Susan B. Loving, Esq. Lester, Loving & Davies 1505 Renaissance Blvd. Edmond, OK 73013-3018 Douglas J. Schmidt, Esq. Blackwell Sanders Peper Martin, LLP 2300 Main, Suite 1100 Kansas City, MO 64108 Andrew B. Campbell, Esq. Wyatt, Tarrant & Combs 2525 W. End Avenue, Suite 1500 Nashville, TN 37203 Douglas S. Skalka, Esq. Neubert, Pepe & Monteith 195 Church Street, 13th Floor New Haven, CT 06510-2026 Charles G. Copeland, Esq. Copeland, Cook, Taylor & Bush 200 Coucourse 1062 Highland Colony Parkway, Suite 200 Ridgeland, MS 39157 Steve A. Uhrynowycz, Esq. 1200 West Third Street, Room 340 Little Rock, Arkansas 72201-1904
JULIE G. TURBERT ASSISTANT U.S. ATTORNEY
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