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


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Date: July 9, 2004
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State: Connecticut
Category: District Court of Connecticut
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Case 3:02-cv-O219%I/BIWE Document 31 Filed 07/OE§OO4 Page 1 of 3
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I UNETED STATES DISTRICT COURT ZUEII JUL -9 A I|¤ 2I
DISTRICT OF CONNECTICUT
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I _ : 3: 02CV 2192 (WWE) I
I Plaintiff
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BOARD OF EDUCATION FOR THE TOWN
OF GREEENWICH :
Defendant I
---—·-----———--------—----—-—~—-----——------ —· —-----—------———-- X July 8, 2004 I
MOTION FOR EXTENSION OF TIME
In accordance with Rule 9 of the Local Rules of Civil Procedure, the defendant I
Greenwiclh Board of Education (hereinafter "the Board") hereby moves for an extension
of time to July 16, 2004 for the filing of its Local Rule 56(a)(2) Statement, its opposition
to the plaintiff’s motion for summary judgment, and any reply to the plaintiff’s opposition
to the defendant’s cross motion for summary judgment. The undersigned has been
attempting to file said documents by July 9, 2004; the additional short extension
requested is additional time is required for preparation given construction in the office of
the undersigned and a hearing scheduled for July 13, 2004 in another matter.
This is the second such extension sought. PIaintiff’s counsel agreed to the
earlier extension to July 9, 2004; defendant’s counsel in this case has indicated the
nature of the extension sought to plaintiff’s counsel and was unable to determine I
plaintiff’s position as of this time. I
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Case 3:02-cv-02192-WWE Document 31 Filed 07/00/2004 Page 2 of 3
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l For the foregoing reasons, defendant respectfully requests that the Court grant
f an extension of time to July 16, 2004 for the filing of its 56(a)(2) Statement, opposition `
{ to the motion for summary judgment, and any reply to the plaintiffs opposition to i
{ defendant’s cross motion for summary judgment. l
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DEFENDANT l
GREENWICH BOARD OF EDUCATION i
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I, (if
alerie E. Maze,
Federal Bar N0. CT 14080
Law Department, Town Hall
101 Field Point Road,
Greenwich, CT 06836—2540
(203) 622—7877
Facsimile: (203) 622-3816
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` Case 3:02-cv-02192-WWE Document 31 Filed 07/00{2004 Page 3 of 3
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[ CERTIFICATION oi= SERVICE
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l A copy of the foregoing has been mailed by first class mail, thisg day of July
2004 to:
Attorney Lawrence W. Berliner
Klebanoff 8. Phelan, P.C. _
433 South Main Street, Suite 102
West Hartford, CT 06110.
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Valerie E. Haze
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