Case 3:01-cv-02374-CFD
Document 111
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UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
EDWARD BROWN vs. TOWN OF STONINGTON, ET AL
: : : : :
3:01cv2374 (CFD)
February 1, 2008
PLAINTIFF'S FIRST MOTION FOR EXTENSION OF TIME TO RESPOND TO SUPPLEMENT DEFENDANTS' MOTION FOR SUMMARY JUDGMENT The plaintiff, Edward Brown, respectfully requests an extension of time of thirty (30) days within which to supplement his response to the motion of summary judgment tendered on him by the defendants. In support of this motion, the undersigned
represents as follows; 1. I am the lawyer for Edward Brown, the plaintiff in
this action. 2. The Court appointed me Pro Bono counsel for the
plaintiff on December 17, 2007. My appearance in this matter was filed on January 3, 2008. 3. On January 8, 2008, the Court reinstated the
defendants' motion for summary judgment. Plaintiff had until January 23, 2008, to supplement his response to the defendants' motion for summary judgment. 4. I am in the process of reviewing the file, and
drafting the plaintiff's supplemental response to the motion for summary judgment.
Case 3:01-cv-02374-CFD
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5.
Because of other court and office commitments I have
been unable to complete the plaintiff's supplemental response and I am requesting additional time. 6. I contacted my adversary, Attorney Beatrice S. Jordan,
to ascertain her position on this motion. Attorney Jordan consents to the granting of this motion.
WHEREFORE, I am requesting an extension of time of thirty (30) days up to and including March 1, 2008, in which to file the plaintiff's supplemental response to the defendants' motion for summary judgment.
BY:___/s/_________________________ Norman A. Pattis, Esquire Fed Bar No. Ct13120 Law Offices of Norman A. Pattis 649 Amity Road, P.O. Box 280 Bethany, CT 06524 Tel No. 203.393.3017 Fax No. 203.393.9745 CERTIFICATION This is to certify that a copy of the foregoing, Appearance, was mailed using U.S. Mail, this 1st day of February 2008, to the following counsel of record: Attorney Beatrice S. Jordan Howd & Ludorf 65 Wethersfield Avenue Hartford, CT 06114 By:______________________ /s/ NORMAN A. PATTIS Law Offices of Norman A. Pattis
Case 3:01-cv-02374-CFD
Document 111
Filed 02/04/2008
Page 3 of 3