Free Motion for Extension of Time - District Court of Federal Claims - federal


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Date: July 10, 2008
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Case 1:08-cv-00021-BAF

Document 45

Filed 07/10/2008

Page 1 of 3

IN THE UNITED STATES COURT OF FEDERAL CLAIMS Bid Protest

Savantage Financial Services, Inc.,

Plaintiff,
v.
)

No. 1:08-cv-21 (Judge Futey)

THE UNITED STATES,

Defendant.

MOTION FOR ENLARGEMENT OF TIME
Pursuant to Rule 6.1 of the Rules of the U.S. Court of Federal Claims, Plaintiff herewith
respectfully requests an enlargement of time in which to file its Reply to Defendant's Opposition to Plaintiff's Application for the Award of Fees and Other Expenses Pursuant to the
Equal Access to Justice Act.

Defendant filed its Opposition on Tuesday, July 8, 2008. Pursuant to Rule 7.2(b) of the
Court's rules, plaintiff must file any Reply within seven days after service of the Opposition,

and the seventh day would fall on Tuesday, July 15, 2008. Of the three counsel representing plaintiff, one is on vacation until July 17, one is in the midst of another major protest with a
filing date of Monday, July 14, and the third is preparing for an oral argument in another Court
of Federal Claims case on Monday, July 14. Because of these conflicting schedules, plaintiff respectfully requests the Court's permission for a one-week extension to file its Reply, i.e., no

later than Tuesday, July 22, 2008. Defendant's counsel has no objection to this request.

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Case 1:08-cv-00021-BAF

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Based on the above, plaintiff respectfully requests an enlargement of time to Tuesday,
July 23, 2008 in which to file its Reply.

Respectfully submitted,

s/ Timothy Sullivan Timothy Suffivan 1909 K Street, N.W., 6th Floor

Washington, D.C. 20006
(202) 585-6930 (tel.) (202) 508-1028 (fax)

Attorney of Record for Plaintiff Savantage Financial Services, Inc. Of Counsel:

Katherine S. Nucci Thompson Coburn LLP 1909 K Street, N.W., 6th Floor

Washington, D.C. 20006
(202) 585-6900 (tel.) (202) 585-6969 (fax)

Dated: July 10, 2008

4768602.1

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Case 1:08-cv-00021-BAF

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CERTIFICATE OF FILING

I hereby certify that on the 10th day of July 2008, a copy of the foregoing Motion for

Enlargement of Time was ified electronically. I understand that notice of this filing will be sent to all parties by operation of the Court's electronic filing system. Parties may access this filing

through the Court's system.

____

s/ Timothy

Sullivan

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