Case 1:07-cv-00828-NBF
Document 21
Filed 05/28/2008
Page 1 of 3
IN THE UNITED STATES COURT OF FEDERAL CLAIMS
LOURDES HYDE, Plaintiff, v. THE UNITED STATES, Defendant.
) ) ) ) ) ) ) ) )
No. 07-828C (Judge Firestone)
DEFENDANT'S CONSENT MOTION FOR ENLARGEMENT OF TIME Pursuant to Rule 6(b)(1) of the Rules of the United States Court of Federal Claims ("RCFC"), defendant, the United States, respectfully requests a 14-day enlargement of time, to and including June 12, 2008, within which to file the administrative record in this action. 2008. The record is currently due on May 30,
Defendant has previously requested one 30-day enlargement The undersigned has contacted
of time for this purpose.
plaintiff's counsel, who has stated that plaintiff consents to this motion. This enlargement is requested to allow the parties to determine if resolution of this matter can be achieved through settlement, thereby relieving the parties of the burdens and expenses associated with continuing to litigate this matter. The parties are currently engaged in settlement discussions. these discussions are fruitful, this case may be voluntarily dismissed and the filing of an administrative record would not If
Case 1:07-cv-00828-NBF
Document 21
Filed 05/28/2008
Page 2 of 3
be necessary.
However, we are currently awaiting additional
information that will be the basis for the parities to determine whether the issues raised in this case can be resolved through settlement. We expect that a 14-day extension of time, to and
including June 12, 2008, will result in the most efficient use of the Court's and the parties' resources. We respectfully
request also that the remaining dates on the schedule similarly be extended by 14 days. For the foregoing reasons, defendant respectfully requests that the Court grant this consent motion for an enlargement of time. Respectfully submitted, JEFFREY S. BUCHOLTZ Acting Assistant Attorney General JEANNE E. DAVIDSON Director /s/ Reginald T. Blades, Jr. REGINALD T. BLADES, JR. Assistant Director /s/ David S. Silverbrand DAVID S. SILVERBRAND Attorney Commercial Litigation Branch Civil Division Department of Justice Attn: Classification Unit 8th Floor 1100 L Street Washington, D.C. 20530 tel: (202) 305-3278 May 28, 2008 Attorneys for Defendant
Case 1:07-cv-00828-NBF
Document 21
Filed 05/28/2008
Page 3 of 3
CERTIFICATE OF SERVICE I hereby certify under penalty of perjury that on this 28th day of May, 2008, a copy of the foregoing consent motion for an enlargement of time, was filed 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/ DAVID S. SILVERBRAND