Case 1:05-cv-01043-VJW
Document 34
Filed 12/08/2006
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IN THE UNITED STATES COURT OF FEDERAL CLAIMS NO: 05-1043C
JORGE A. DELPIN APONTE, et al., v. UNITED STATES OF AMERICA
MOTION FOR EXTENSION OF TIME UNTIL MONDAY, DECEMBER 11, 2006
BEFORE THE HONORABLE COURT: COMES NOW Plaintiffs in the above captioned complaint and as further detailed, through undersigning counsel, respectfully STATE and PRAY: 1. Today, Plaintiffs are completing the preparation of a response for filing,
but certain details remain for handling. 2. At this time of the day, Plaintiffs are certain that they cannot file their
response by the end of business day today. 3. Plaintiffs respectfully request a brief extension of time, until Monday,
December 11, 2006 to file their responses 4. I spoke about this extension with Mr. Jeffrey Pease, counsel for
defendant, and Mr. Pease has no objection to the brief request made herein. WHERETORE, plaintiffs move the Court for an extension of time until Monday, December 11, 2006 to file their opposition and/or responses to defendant's motion to dismiss, for summary judgment and statement of purported undisputed facts as reflected in the record.
Case 1:05-cv-01043-VJW
Document 34
Filed 12/08/2006
Page 2 of 2
Respectfully submitted, S/ Santiago F. Lampon SANTIAGO F. LAMPON LAMPĂ“N & ASSOCIATES PO BOX 363641 SAN JUAN, PR 00936-3641 Tel: (787) 273-6767 Fax: (787) 758-3679 Attorney for Plaintiffs
December 8, 2006
CERTIFICATE OF SERVICE I hereby certify that on this 8th day of December, 2006, a copy of the foregoing "Motion for Extension of Time" has been 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/ Santiago F. Lampon
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