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


File Size: 12.8 kB
Pages: 2
Date: July 14, 2008
File Format: PDF
State: federal
Category: District
Author: unknown
Word Count: 301 Words, 1,978 Characters
Page Size: Letter (8 1/2" x 11")
URL

https://www.findforms.com/pdf_files/cofc/21318/30.pdf

Download Motion for Extension of Time - District Court of Federal Claims ( 12.8 kB)


Preview Motion for Extension of Time - District Court of Federal Claims
Case 1:06-cv-00401-NBF

Document 30

Filed 07/14/2008

Page 1 of 2

IN THE UNITED STATES COURT OF FEDERAL CLAIMS JILLINA MANION, ) ) Plaintiff, ) ) v. ) ) UNITED STATES OF AMERICA, ) ) Defendant. ) __________________________________________)

No. 06-401L Hon. Nancy B. Firestone

UNOPPOSED MOTION FOR ENLARGEMENT OF TIME TO FILE THE PARTIES' POST-DISCOVERY STATUS REPORT ______________________________________________________________________________ Pursuant to Rule 6.1 of the Rules of the Court of Federal Claims, defendant, with the consent of plaintiff, hereby respectfully moves for an enlargement of time of two (2) days, or to and including July 16, 2008, for the filing of the parties' post-discovery status report. Discovery in this matter closed on June 23, 2008. By this Court's order of June 23, 2008 the parties were directed to file a post-discovery status report on June 30, 2008. (Docket No. 27). The Court also granted the parties a fourteen day enlargement of time for the filing of this post-discovery joint status report. (Docket No. 29). Defendant requires this additional time for further internal coordination of its position on the matters to be contained in the status report. Counsel for plaintiff has indicated that there is no objection to this request for enlargement. WHEREFORE, defendant, with the consent of plaintiff, respectfully requests that the Court grant an enlargement of time of two (2) days, or to and including July 16, 2008, for the filing of the post-discovery status report.

Case 1:06-cv-00401-NBF

Document 30

Filed 07/14/2008

Page 2 of 2

Respectfully submitted this 14th day of July 2008,

RONALD J. TENPAS Acting Assistant Attorney General Environment and Natural Resources Division s/ Mark T. Romley Mark T. Romley Trial Attorney Natural Resources Section Environment & Natural Resources Division United States Department of Justice P. O. Box 663 Washington, D.C. 20044-0663 Telephone: (202) 305-0458 Fax: (202) 305-0506