Case 1:01-cv-00344-LB
Document 109
Filed 06/30/2006
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 Pursuant to the Court's order of May 16, 2006, Plaintiffs' response to the United States' motion to dismiss is due July 7, 2006 (but has been calendared as due July 3, 2006 by the Clerk's office). Due to illness of counsel, Plaintiffs respectfully request an enlargement of ten (10 )days, until July 17, 2006, to file their response. This is the first such request for an enlargement. The request is made, not for the purpose of delay, but so that justice may be done. Counsel for the United States has represented to counsel for Plaintiffs that the United States is unopposed to the granting of this motion to enlarge. WHEREFORE, Plaintiffs Robert J. Isler and Susan L. Isler respectfully request an enlargement of time until July 17, 2006, to respond to the United States' motion to dismiss.
twwm6303.is1.wpd
Case 1:01-cv-00344-LB
Document 109
Filed 06/30/2006
Page 2 of 2
Respectfully submitted,
/s/ Thomas E. Redding Thomas E. Redding, Attorney of Record REDDING & ASSOCIATES, P.C. P.O. Box 924328 Houston, Texas 77292-4328 (713) 965-9244 (713) 621-5227 Fax Attorney for Jeffrey T. Scuteri
CERTIFICATE OF CONFERENCE
On Wednesday, June 28, 2006, counsel for Plaintiff, Teresa J. Womack, corresponded with counsel for the United States, Bart Jeffress, who represented that the United States does not object to the granting of this motion.
/s/ Teresa J. Womack Teresa J. Womack
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