Case 1:05-cv-01209-LMB
Document 33
Filed 11/10/2006
Page 1 of 2
THE UNITED STATES COURT OF FEDERAL CLAIMS JENNINGS TRANSMISSION SERVICE ) OF GOLDSBORO, INC., ) ) PLAINTIFF, ) ) v. ) THE UNITED STATES, ) ) DEFENDANT. )
CASE NO. 1:05CV1209C LMB
MOTION FOR EXTENSION OF TIME TO RESPOND TO DISCOVERY REQUESTS COMES NOW the Third Party Defendant, Ready-Built Distributors, Inc. ("ReadyBuilt") and move the Court for an extension of time within which to respond to Plaintiff's First Set of Interrogatory Nos. 1 - 10 and Request for Production of Documents 1 - 19 to Defendant Ready-Built Distributors, Inc. In support of this Motion, Ready-Built states as follows: 1. Ready-Built adopts and incorporates by reference as if fully set forth herein JASPER ENGINES' UNOPPOSED MOTION FOR ENLARGEMENT OF TIME TO RESPOND TO DISCOVERY REQUESTS. Ready-Built adopts each and every ground asserted therein as the basis for this Motion. 2. 3. Plaintiff's counsel has no objection to the requested extension. This Motion is not made in bad faith and/or for purposes of delay. Respectfully submitted, /s/ James S. Ward James S. Ward WARD & WILSON, LLC 2100 Southbridge Parkway, Suite 580 Birmingham, Alabama 35209 (205) 871-5404 Attorney for Ready-Built Distributors, Inc.
Case 1:05-cv-01209-LMB
Document 33
Filed 11/10/2006
Page 2 of 2
Jennings Transmission Service of Goldsboro, Inc. v. The United States of America United States Court of Federal Claims Case No.: 05-1209C
CERTIFICATE OF SERVICE I hereby certify that a true and accurate copy of the foregoing was served on the following by Electronic Mail on the 1st day of August 2006. Larry L. Coats Coats & Bennett PLLC 1400 Crescent Green, Suite 300 Cary, North Carolina 27511 [email protected] Ken B. Barrett U.S. Department of Justice Civil Division - Commercial Litigation Br. 1100 L Street, NW, 8th Floor Washington, DC 20530 [email protected] James M. Hinshaw Bingham McHale LLP 2700 Market Tower 10 W. Market Street Indianapolis, Indiana 46204-4900
[email protected]
/s/ James S. Ward OF COUNSEL
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