Case 1:05-cv-00410-MMS
Document 66
Filed 04/29/2008
Page 1 of 2
IN THE UNITED STATES COURT OF FEDERAL CLAIMS MARIO R. LOPEZ-VELAZQUEZ, Plaintiff, v. THE UNITED STATES, Defendant. ) ) ) ) ) ) ) ) )
No. 05-410C (Judge Sweeney)
DEFENDANT'S UNOPPOSED MOTION FOR ENLARGEMENT OF TIME Pursuant to Rule 6(b) of the Rules of the United States Court of Federal Claims, defendant, the United States, respectfully requests an enlargement of time of 14 days, through and including May 15, 2008, within which we may file our reply brief in support of our motion for judgment upon the administrative record. Our reply brief is currently due on May 1, 2008. This is our first request for an enlargement of time for this purpose. Counsel for Mr. LopezVelazquez has indicated that Mr. Lopez-Velazquez is not opposed to this motion. This request for an enlargement of time is necessary to provide additional time to complete a draft of the brief and to obtain appropriate review. Government counsel is assigned to several matters requiring significant attention that have delayed progress in completing a draft reply brief in this case, including Arko Executive Servs. Inc. v. United States, Fed. Cir. No. 08-5011 (brief due May 1, 2008), Delpin-Aponte v. United States, Fed. Cl. No. 05-1043 (response to motion due May 5, 2008), and Pat Huval Restaurant & Oyster Bar, Inc. v. United States, Ct. Int'l Trade No. 06-00290 (response to motion due May 7, 2008). For these reasons, we respectfully request an extension of time of 14 days, through and including May 15, 2008, within which we may file our reply brief.
Case 1:05-cv-00410-MMS
Document 66
Filed 04/29/2008
Page 2 of 2
Respectfully submitted, JEFFREY S. BUCHOLTZ Acting Assistant Attorney General JEANNE E. DAVIDSON Director s/ Todd M. Hughes TODD M. HUGHES Deputy Director s/ Michael J. Dierberg MICHAEL J. DIERBERG Trial Attorney Department of Justice Civil Division Commercial Litigation Branch 1100 L. Street, NW Attn: Classification Unit 8th Floor Washington, D.C. 20530 Tel: (202) 353-0536 Fax: (202) 305-7643 April 29, 2008 Attorneys for Defendant
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