Case 1:08-cv-00304-SGB
Document 14
Filed 09/10/2008
Page 1 of 2
IN THE UNITED STATES COURT OF FEDERAL CLAIMS INFORMATION SCIENCES CORP., Plaintiff, v. THE UNITED STATES, Defendant. ) ) ) ) ) ) ) ) ) )
No. 08-304 (Judge Braden)
DEFENDANT'S UNOPPOSED MOTION FOR AN ENLARGEMENT OF TIME Defendant respectfully requests an enlargement of time of three days, to and including September 22, 2008, within which to file its reply in support of its motion to dismiss plaintiff's complaint. Defendant's reply is currently due to be filed September 19, 2008. This is defendant's first request for an enlargement of time. Counsel for plaintiff has represented that plaintiff does not oppose this request. There is good cause for this motion. An enlargement of time is necessary given the complexity of issues presented and the volume of motions and briefs for other cases assigned to undersigned counsel. Defendant also needs time to obtain necessary agency review and supervisory review of its filing. For these reasons, defendant respectfully requests that the Court grant its unopposed motion for an enlargement of time.
Case 1:08-cv-00304-SGB
Document 14
Filed 09/10/2008
Page 2 of 2
Respectfully submitted, GREGORY G. KATSAS Assistant Attorney General JEANNE E. DAVIDSON Director
s/ Bryant G. Snee BRYANT G. SNEE Deputy Director
s/ Gregg M. Schwind by /s Amanda L. Tantum GREGG M. SCHWIND AMANDA L. TANTUM Trial Attorneys Commercial Litigation Branch Civil Division U.S. Department of Justice Attn: Classification Unit 8th Floor 1100 L Street, N.W. Washington D.C. 20530 Tel: (202) 353-2345 Fax: (202) 514-8624 September 10, 2008 Attorneys for Defendant
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