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


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Date: January 23, 2008
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Case 1:05-cv-00675-MMS

Document 43

Filed 01/23/2008

Page 1 of 2

IN THE UNITED STATES COURT OF FEDERAL CLAIMS No. 05-675 T (Judge Margaret M. Sweeney) __________ WILLIAM F. AND THERESE HARTMAN, Plaintiffs v. UNITED STATES, Defendant

__________ JOINT MOTION FOR EXTENSION OF TIME _________

Pursuant to RCFC 6(b), the parties move this Court for an enlargement of 60 days, from January 28, 2008, to and including March 28, 2008, of the deadline for the parties to complete discovery in the above-captioned case. Two prior enlargements of this deadline totaling 120 days have been granted. The parties are seeking extensive document discovery of Cap Gemini and Ernst & Young related to the transaction at issue in the complaint. Cap Gemini and Ernst & Young have filed objections to the parties subpoenas. The parties are currently working with counsel for those parties to resolve any disputes regarding the documents to be produced with an intent of limiting any disputes that might have to be resolved by the Court. Further, the parties have been unable until recently to schedule the deposition of plaintiff, William Hartman, due to

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Case 1:05-cv-00675-MMS

Document 43

Filed 01/23/2008

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his medical condition. The enlargement sought by this motion will allow the parties time to complete the necessary discovery in this case. WHEREFORE, the parties respectfully request that the deadline for completing discovery be extended from January 28, 2008, to, and including, March 28, 2008.

Respectfully submitted, 1/23/08 DATE ___s/ Kenneth R. Boiarsky____ KENNETH R. BOIARSKY 174 Los Alamitos Lane HCR 74-22126 El Prado, New Mexico 87529-9540 (505) 737-5940 Counsel for Plaintiffs

1/23/08 DATE

___s/ Benjamin C. King, Jr.____ BENJAMIN C. KING, JR. Attorney of Record Justice Department (Tax) Court of Federal Claims Section Post Office Box 26 Ben Franklin Post Office Washington, D.C. 20044 (202) 307-6506 NATHAN J. HOCHMAN Assistant Attorney General DAVID GUSTAFSON Chief, Court of Federal Claims Section

1/23/08 DATE

s/ David Gustafson__________ Of Counsel Counsel for Defendant

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