Case 1:05-cv-01058-FMA
Document 40
Filed 06/26/2007
Page 1 of 2
IN THE UNITED STATES COURT OF FEDERAL CLAIMS HAL D. HICKS, f/d/b/a HAL D. HICKS MAIL TRANSPORTATION, PLAINTIFF, v. THE UNITED STATES POSTAL SERVICE, DEFENDANT. ) ) ) ) ) ) No. 05-1058C ) ) ) ) )
PLAINTIFF'S MOTION FOR LEAVE TO FILE INSTANTER COMES NOW Plaintiff, by and through his undersigned counsel, and for his Motion for Leave to File Instanter, states as follows: 1. On April 20, 2007, plaintiff was ordered to file a status report responding
to defendant's suggestion that this case may be resolved by dispositive motions. 2. Due to plaintiff's counsel's schedule, plaintiff was unable to coordinate
dates with the third-party, Midwest Transit, Inc.'s Receiver, until just recently, and, thus, respectfully requests this Court allow plaintiff's status report to be filed out of time. 3. 4. No party will be prejudiced by the filing of the current status report. For all these reasons, plaintiff respectfully requests this Court grant his
Motion for Leave to File his Status Report Instanter. WHEREFORE, plaintiff, Hal D. Hicks, respectfully requests that this Court grant his Motion for Leave to File his Status Report Instanter and for such other and further relief this Court deems just and proper.
Case 1:05-cv-01058-FMA
Document 40
Filed 06/26/2007
Page 2 of 2
THEIL LAW FIRM, L.L.C.
By:
_/s/John F. Theil__________ John F. Theil, #109820 120 S. Central, Suite 1550 St. Louis, MO 63105 314-725-1725 314-725-5754 (Fax) [email protected] Attorney for Plaintiff
Certificate of Service The undersigned certifies that a copy of the foregoing was electronically filed this 26th day of June 2007, and served on the following counsel of record via electronic filing: Richard P. Schroeder, Trial Attorney Peter D. Keisler, Asst. Attorney General David M. Cohen, Director Mark A. Melnick, Asst. Director U. S. Department of Justice Civil Division Commercial Lit. Branch 1100 L. Street, NW 8th Floor Washington, DC 20530 202-616-8253 202-307-0972 fax [email protected] Attorneys for Defendant
_/s/John F. Theil____________________
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