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


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Date: May 24, 2005
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State: federal
Category: District
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Case 1:05-cv-00411-FMA

Document 6

Filed 05/24/2005

Page 1 of 2

IN THE UNITED STATES COURT OF FEDERAL CLAIMS ___________________ No. 05-411 T (Judge Francis M. Allegra) PRESIDIO ADVISORS, LLC, NORVEST LTD., Plaintiff, v. THE UNITED STATES, Defendant. ___________________ MOTION FOR ENLARGEMENT OF TIME ___________________ Pursuant to RCFC 6(b), defendant respectfully moves the Court for a 30-day enlargement of time from May 28, 2005, to and including June 27, 2005, in which to file a response to the complaint. This is the first request by defendant for this purpose. As good cause therefor, defendant states as follows: Plaintiff filed the complaint in this case on March 29, 2004. Pursuant to 28 U.S.C. Section 520, the United States Department of Justice requested the views of the Internal Revenue Service with respect to this matter. Personnel of the Internal Revenue Service have been preparing the defense letter and assembling the "administrative files" with respect to this action. To date, defendant's attorney has not received the defense letter and administrative files. Without the defense letter and administrative files, defendant's trial attorney cannot prepare a meaningful response to plaintiff's complaint. An additional thirty days are needed for the IRS to -1-

Case 1:05-cv-00411-FMA

Document 6

Filed 05/24/2005

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complete the defense letter and forward it with the administrative files to the Department of Justice for use by defendant's attorney in preparing a response. Plaintiff's attorney stated that he has no objection to the allowance of this motion. Accordingly, defendant requests that the Court allow the requested enlargement of time. Respectfully submitted, ______________ Date s/G. Robson Stewart G. ROBSON STEWART Attorney of Record U.S. Department of Justice Tax Division Court of Federal Claims Section Post Office Box 26 Ben Franklin Post Office Washington, D.C. 20044 (202) 307-6493 (202) 514-9440 (facsimile) EILEEN J. O'CONNOR Assistant Attorney General MILDRED L. SEIDMAN Chief, Court of Federal Claims Section DAVID GUSTAFSON Assistant Chief ______________ Date s/David Gustafson Of Counsel Attorneys for Defendant