Case 1:03-cv-02462-WYD-PAC
Document 56
Filed 11/08/2005
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UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 03-CV-2462-WYD-PAC BOBBY PADILLA, Plaintiff, v. SAN LUIS CENTRAL RAILROAD COMPANY, Defendant. ______________________________________________________________________________ DEFENDANT'S UNOPPOSED MOTION TO RESCHEDULE FINAL TRIAL PREPARATION CONFERENCE ______________________________________________________________________________ Defendant moves this Court to reschedule the final trial preparation conference in this matter from June 8, 2006, to any day during the week of May 29, 2006. As grounds for this motion, Defendant states: 1. The undersigned certifies that he has conferred with opposing counsel concerning
this motion, and opposing counsel states that he has no objection to the relief requested herein. 2. In its Minute Order of November 3, 2005, this Court set a final trial preparation
conference for Thursday, June 8, 2006, at 9:00 a.m. 3. The undersigned is scheduled to be in trial in the District Court of Adams County,
Colorado, from June 5 through June 8, 2006, in Case No. 2005CV827, entitled RAW Construction, Inc. v. Mathias, et al.
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Case 1:03-cv-02462-WYD-PAC
Document 56
Filed 11/08/2005
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4.
Both counsel in this case are available at any time during the week of May 29,
2006, and respectfully request the Court to reschedule the final trial preparation conference for some time during that week. s/ Evan S. Lipstein Evan S. Lipstein Law Offices of Evan S. Lipstein PC 12600 West Colfax Avenue, Suite C-400 Lakewood, Colorado 80215 Telephone: 303-232-5151 Fax: 303-232-5161 Email: [email protected] Attorneys for Defendant
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Case 1:03-cv-02462-WYD-PAC
Document 56
Filed 11/08/2005
Page 3 of 3
UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO CERTIFICATE OF SERVICE (CM/ECF) I hereby certify that on November 8th, 2005, I electronically filed the foregoing UNOPPOSED MOTION TO RESCHEDULE FINAL TRIAL PREPARATION CONFERENCE with the Clerk of Court using the CM/ECF system which will send notification of such filing to the following email addresses: Jack Kintzele, Esq. [email protected] Attorney for Plaintiff and I hereby certify that I have mailed or served the document or paper to the following nonCM/ECF participant in the manner in the manner indicated by the non-participant's name:
Edward A. Burkhardt, President - SENT BY POSTAGE PREPAID FIRST CLASS MAIL San Luis Central Railroad Company 8600 West Bryn Mawr Avenue, Suite 500-N Chicago, IL 60631-3505
s/ Evan S. Lipstein Evan S. Lipstein Law Offices of Evan S. Lipstein PC 12600 West Colfax Avenue, Suite C-400 Lakewood, Colorado 80215 Telephone: 303-232-5151 Fax: 303-232-5161 Email: [email protected] Attorneys for Defendant
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