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


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Date: December 14, 2005
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Case 1:05-cv-01113-MMS

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IN THE UNITED STATES COURT OF FEDERAL CLAIMS CATEL, INC., Plaintiff, v. THE UNITED STATES, Defendant. ) ) ) ) ) ) ) ) )

No. 05-1113C (Judge Firestone)

DEFENDANT'S MOTION FOR AN ENLARGEMENT OF TIME Defendant respectfully requests an enlargement of time of 60 days, to and including February 14, 2005, within which to file its response to plaintiff's complaint. Defendant's response to This

plaintiff's complaint currently is due December 16, 2005.

is defendant's first request for an enlargement of time for this purpose. Plaintiff's counsel has represented that plaintiff does

not oppose this request. Plaintiff filed its complaint on October 17, 2005. Upon

receipt of the complaint, defendant promptly sent a copy to the Department of the Navy (the "Navy") with a request for a litigation report and suggested response to the complaint, pursuant to 28 U.S.C. § 520.1

Section 520 provides that, "[i]n suits against the United States in the United States Court of Federal Claims . . . founded on a contract, agreement, or transaction with an executive department . . . the Attorney General shall send to the department . . . a printed copy of the petition filed by the claimant, with a request that the department . . . furnish to the Attorney General all facts, circumstances, and evidence concerning the claim in the possession or knowledge of the department," and that, "[w]ithin a reasonable time after receipt of the request of the Attorney General, the executive department . . . shall furnish the Attorney General with a written statement of all facts, information, and proofs." 28 U.S.C. § 520.

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Since that time, Navy counsel has endeavored to identify the relevant records pertaining to this dispute and to obtain from Navy employees the information needed to prepare the requested litigation report and suggested response to the complaint. Once the litigation report is received, additional time is necessary so that defendant's counsel may have a sufficient opportunity to review the litigation report and suggested response to the complaint, obtain any additional information or clarification from the Navy, and prepare and file the Government's response to the complaint. For these reasons, defendant respectfully requests that the Court grant its motion for an enlargement of time.

Respectfully submitted, PETER D. KEISLER Assistant Attorney General DAVID M. COHEN Director

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s/ BRYANT G. SNEE BRYANT G. SNEE Assistant Director

s/ PAUL R. WELLONS PAUL R. WELLONS Trial Attorney Commercial Litigation Branch Civil Division Department of Justice Attn: Classification Unit 8th Floor, 1100 L St. Washington, D.C. 20530 Tel: (202) 616-8253 Fax: (202) 307-0972 December 14, 2005 Attorneys for Defendant

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CERTIFICATE OF FILING I hereby certify that on December 14, 2005, a copy of the foregoing "DEFENDANT'S UNOPPOSED 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. the Court's system. Parties may access this filing through

s/ PAUL R. WELLONS