Case 1:05-cv-01043-VJW
Document 23-3
Filed 09/14/2006
Page 1 of 2
IN THE UNITED STATES COURT OF FEDERAL CLAIMS NO: 05-1043C
JORGE A. DELPIN APONTE, et al., v. UNITED STATES OF AMERICA
UNCONTESTED MOTION FOR EXTENSION OF TIME BEFORE THE HONORABLE COURT: COMES NOW Plaintiffs in the above captioned complaint and as further detailed, through undersigning counsel, respectfully STATE and PRAY: 1. Defendant in the captioned case, filed a motion to
dismiss and for summary judgment, presenting various arguments which purportedly support such proposition. Defendant's motion
is ample and requires extensive review in order to properly and responsibly prepares a response. 2. is needed Undersigning counsel estimates that a term of 30 days in order to and adequately defendants' prepare an opposition of to
defendants'
motion
statement
purported
uncontested facts. 3. Undersigning counsel has consulted with counsel for
defendants, Mr. Jeffrey Pease and he has agreed to the extension requested under this statement.
Case 1:05-cv-01043-VJW
Document 23-3
Filed 09/14/2006
Page 2 of 2
WHERETOFORE plaintiff requests that the stated extension of time be granted as requested, with the filing by defendants due on or before October 12, 2006.
Respectfully submitted, S/ Santiago F. Lampon_ SANTIAGO F. LAMPON LAMPON & ASSOCIATES PO BOX 363641 SAN JUAN, PR 00936-3641 Tel: (787) 273-6767 Fax: (787) 758-3679 Attorney for Plaintiffs
September 11, 2006
CERTIFICATE OF SERVICE I hereby certify that on this 11th day of September 2006, a copy of the foregoing "Uncontested Motion for Extension 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. through the Court's system. Parties may access this filing
S/ Santiago F. Lampon
2