Case 1:01-cv-00344-LB
Document 116
Filed 10/30/2006
Page 1 of 2
IN THE UNITED STATES COURT OF FEDERAL CLAIMS
ROBERT J. ISLER and SUSAN L. ISLER Plaintiffs,
vs.
UNITED STATES OF AMERICA Defendant.
§ § § § § § § § § § §
DOCKET NO. 01-344T Judge Block
PLAINTIFFS' UNOPPOSED MOTION TO ENLARGE TIME TO RESPOND
Plaintiffs Robert J. Isler and Susan L. Isler respectfully move for leave to file their response to the United States' supplement to its motion to dismiss pursuant to Rule 12(b)(1) and for cause would respectfully show the Court as follows: The United States filed its supplement to its motion to dismiss with leave of the Court on October 3, 2006. Plaintiffs' response is due October 30, 2006. Plaintiffs respectfully request a seven day enlargement of time until November 6, 2006, to file their response. The delay is due to illness of counsel. Counsel for the United States has represented that the government is unopposed to the granting of this motion to enlarge. WHEREFORE, Plaintiffs Robert J. Isler and Susan L. Isler respectfully request an enlargement of seven days until November 6, 2006, to file their response to the United States' supplement to its motion to dismiss pursuant to Rule 12(b)(1).
TWWMO306.IS1.wpd
Case 1:01-cv-00344-LB
Document 116
Filed 10/30/2006
Page 2 of 2
Respectfully, /e/ Thomas E. Redding Thomas E. Redding Texas State Bar No. 1661300 Redding & Associates, P.C. 2914 W. T. C. Jester Houston, Texas 77018 (713) 965-9244 (713) 621-5227 (Fax) ATTORNEY FOR PLAINTIFFS
OF COUNSEL FOR PLAINTIFFS: Teresa J. Womack Texas State Bar No. 00788707 Redding & Associates, P.C. 2914 W. T. C. Jester Houston, Texas 77018 (713) 965-9244 (713) 621-5227 (Fax)
CERTIFICATE OF CONFERENCE On October 30, 2004, I spoke with counsel for the United States, Bart Jeffress, who represented to me that the Untied States is unopposed to the granting of this motion.
_________________________________ Teresa J. Womack
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TWWMO306.IS1.wpd