PT Case 3:00-cv-00678-SRU Document 65 Filed 09/28/2004 Page 1 of 2
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UNITED STATES DISTRICT COURT I in I I I
DISTRICT OF CONNECTICUT mm mi, 7,8 A li, 21 i
O’I*(EEFE &ASSOC|ATES, INC. : , , ., I, ,..,.1- N
Plaintiff 2 I I- I
VS.. : CIVIL ACTION NO.
3:00CVO0678 (SRU) I
THIEME CO-OP PROMOTIONS, INC. : i
Defendant : SEPTEMBERQV , 2004
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MOTION FOR ENLARGEMENT OF THE DISPOSITIVE MOTIONS DEADLINE
Plaintiff files this Motion for Enlargement of Time for 30 days, up to and including
October 29, 2004, of the dispositive motions deadline. In support of this motion, Plaintiff
cites the following:
1. Plaintiffs counsel is a sole practitioner who is inordinately busy at the present
time. His primary support person has been unavailable due to medical leave.
2. Counsel needs this additional time in order to research and brief the legal and
factual issues involved. J
3. Plaintiffs counsel has contacted Defendant's counsel who represents that he E
has no objection to this motion. l
4. This is the third request for an enlargement of time regarding this time limit,
apart from previous requests regarding discovery and other deadlines.
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_ _,c_, Case 3:00-cv-00678-SRU Document 65 Filed O9/28/2004 Page 2 of 2
THE PLAINTIFF \
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Francis D. Burke I
MANGINES & BURKE, LLC
11115 Main Street, Suite 708
Bridgeport, CT 06604
(203) 336-0887 _
Fed. Bar No. 18688 I
CERTIFICATION
This is to certify that a copy of the foregoing was sent, via U.S. Maii, postage ;
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prepaid, this 'DC7 day of September 2004, to:
David A. Ball, Esq. 1
Cohen and Wolf, PC
1115 Broad Street
Bridgeport, CT 06604 _
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Ei? i ......... i
Francis D. Burke L