Case 1:05-cv-00746-MPT
Case 1:05-cv-00746-MPT
Document 66
Filed 06/18/2008
Page 1 of 2
Page 1 of 2
Documen~ Filed 06/16/2008
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF DELA WARE
) ) Plaintiff, ) ) v. ) ) THE DELA WARE RIVER AND BAY ) AUTHORITY, JAMES JOHNSON, )
Individually, JAMES WALLS, Individually,)
TRUDY SPENCE-PARKER, Individually, )
and CONSUELLA PETTY-JUDKINS, )
Individually. )
)
Defendants. )
RONALD S. RILEY,
C.A. No. 05-746 (MPT) (Consolidated)
DEFENDANTS' UNOPPOSED MOTION TO
EXTEND DEADLINE TO FILE REPLY BRIEF
Defendants, Delaware River and Bay Authority, James Johnson, Trudy SpenceParker, and Consuella Petty-J udkins, (hereinafter "Defendants") seek an extension of time to file their Reply Briefin Support of their Motion for Summary Judgment, for the following reasons: 1. On May 15,2008, Defendants, filed their Motion for Summary Judgment
and Opening Brief in Support thereof, pursuant to the Court's June 28, 2007 Scheduling Order. 2. 2,2008. 3. On May 29,2008, Plaintiff filed a Motion to Extend Deadline to file his Pursuant to the Local Rules, Plaintiffs Answering Briefwas due on June
response to Defendant's case dispositive motion, requesting a one-week extension, to June 9, 2008, to file his brief. 4. On June 9, 2008, Plaintiff filed his Answering Brief in Opposition to
Defendants' Motion for Summary Judgment.
OB012560942.1
051649.1014
Case 1:05-cv-00746-MPT
Case 1:05-cv-00746-MPT
Document 66
Document 65
Filed 06/18/2008
Filed 06/16/2008
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Page 2 of 2
5. 2008. 6.
The docket now reflects that Defendants' Reply Brief is due on June 19,
Defendants' response has now been further complicated by the fact that
one of the individual defendants, Trudy Spence-Parker, resigned from the Delaware River and Bay Authority and retained separate counsel. 7. Defendants therefore respectfully request a one-week extension of time to
file their Reply Brief in Support of their Motion for Summary Judgment, making their Reply Brief due on June 26, 2008. 8. Per Plaintiffs Motion to Extend Deadline, Plaintiff does not oppose
Defendants' request for a one-week extension oftime. WHEREFORE, Defendants respectfully requests a one-week extension until June 26,2008, to file their Reply Brief in Support of their Motion for Summary Judgment. YOUNG CONAWAY STARGATT & TAYLOR, LLP
lsi Adria B. Martinelli William W. Bowser, Esquire (Bar 1.0.2239) Adria B. Martinelli, Esquire (Bar 1.0. 4056) The Brandywine Building, 17th Floor 1000 West Street P.O. Box 391 Wilmington, Delaware 19899-0391 Telephone: (302) 571-6601, 6613 Facsimile: (302) 576-3282, 3314 Email: wbowser({j)YcsLcom
')Dl~~.I:!jD.~JJj@J::s:.:~L~q1D
Attorneys for Defendants
DATED: June 16,2008
DBO 12560942. 1
051649.1014