Free Motion for Extension of Time - District Court of Connecticut - Connecticut


File Size: 97.2 kB
Pages: 2
Date: December 31, 2003
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
Word Count: 314 Words, 1,934 Characters
Page Size: 610.56 x 789.12 pts
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Case 3:03-cv-00566-CFD Document 21 Filed 12/31/2003 Page 1 of 2
UNITED STATES DISTRICT COURT
DISTRICT OF CONNECTICUT
PETER GIRARD :
Plaintiff : CIVIL ACTION NO. 3:03CV0566 (CFD)
Vs. :
THE ARROW LINE, INC./COACH USA U :
Defendant : DECEMBER 31, 2003
DEFENDANT'S MOTION FOR ADDITIONAL EXTENSION
OF TIME WITHIN WHICH TO RESPOND TO PLAINTIFF'S
INTERROGATORIES AND REQUESTS FOR PRODUCTION
The defendant, The Arrow Line, Inc./Coach USA, respectfully requests from the
Court an additional extension of time of 25 days, until January 31, 2004, in which to
respond to the plaintiffs interrogatories and requests for production in the above-
captioned case. The response was originally due on January 6, 2004.
Defendant requests this additional extension for the reason that because of
holiday and vacation schedules, and the fact that The Arrow Line Inc. business was sold
to another company in mid-2003, defendant's counsel has been delayed in contacting
various individuals and obtaining all of the requested documentation to respond to the
plaintiffs interrogatories and requests for production.
Plaintiffs counsel has been contacted and he has no objection to this request for
additional time.
This is the first such request for an extension of time.

Case 3:03-cv-00566-CFD Document 21 Filed 12/31/2003 Page 2 of 2
DEFENDANT
THE ARROW LINE, INC./COACH USA
By: Siegel, O’Connor, Zangari,
O'DonneII & Beck, P.C.
Its Attorneys
150 Trumbull Street
Hartford, CT 06103
(860) 727-8900
By: ( Md?
Peter A. Janus
Federal Bar No. ct06309
CERTIFICATE OF SERVICE
This is to certify that a copy of the foregoing Defendant's Motion for Extension of
Time in Which to Respond to Plaintiffs interrogatories and Requests for Production has
been mailed, postage prepaid, this 31st day of December, 2003, to the following counsel
of record:
Owen P. Eagan
Eagan & Donohue
The Griswold House
24 Arapahoe Road
West Hartford, CT 06107 X
Peter A. Janu