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


File Size: 34.4 kB
Pages: 2
Date: September 7, 2005
File Format: PDF
State: federal
Category: District
Author: unknown
Word Count: 359 Words, 2,326 Characters
Page Size: Letter (8 1/2" x 11")
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Case 1:05-cv-00748-CCM

Document 5

Filed 09/07/2005

Page 1 of 2

IN THE UNITED STATES COURT OF FEDERAL CLAIMS No. 05-748 T (Judge Block) STOBIE CREEK INVESTMENTS LLC, JFW ENTERPRISES, INC., Tax Matters and Notice Partner, Plaintiff, v. THE UNITED STATES, Defendant. __________________________ REQUEST FOR EXTENSION OF TIME TO RESPOND TO PLAINTIFF'S COMPLAINT __________________________ Pursuant to Rule 6(b) of the Rules of the United States Court of Federal Claims, the defendant respectfully moves for an enlargement of time of 60 days from September 10, 2005, to November 9, 2005 within which to file defendant's answer or other response to plaintiff's complaint. Plaintiff has no objection to the requested 60-day extension. This is the first such enlargement requested. In support of this motion, the defendant states the following: Plaintiff has filed its complaint in this matter. The Service has informed defendant's trial counsel that the administrative materials necessary to respond to that complaint have not yet been received by the Office of Chief Counsel attorney assigned to prepare the defense recommendation in this matter. Accordingly, additional time is required to allow for the receipt of the files and for preparation of the defense recommendation due to the nature of the issues in

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Case 1:05-cv-00748-CCM

Document 5

Filed 09/07/2005

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the case. Because of those issues, various branches of the Office of Chief Counsel must coordinate in preparing the recommendation. The additional time is requested to permit coordination of the defense recommendation in the Office of Chief Counsel, for the Department of Justice to receive and review the Service's defense recommendation and administrative materials, and to prepare the government's response to plaintiffs' complaint. WHEREFORE, the defendant prays that its motion for an 60-day extension of time to respond to plaintiffs' complaint be allowed. Respectfully submitted, s/David R. House DAVID R. HOUSE Attorney of Record U.S. Department of Justice - Tax Division Court of Federal Claims Section Post Office Box 26 Ben Franklin Station Washington, D.C. 20044 (202) 616-3366 EILEEN J. O'CONNOR Assistant Attorney General MILDRED L. SEIDMAN Chief, Court of Federal Claims Section DAVID GUSTAFSON Assistant Chief

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