Case 3:00-cv-00720-JCH
Document 121
Filed 02/02/2007
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT WILLIAM CONNELLY v. THERESA LANTZ, ET AL : : : : : NO. 3:00CV720(JCH)
JANUARY 31, 2007
MOTION FOR AN ENLARGEMENT OF TIME Pursuant to Local Rule 7(b), the moving defendant, Theresa Lantz, hereby moves for a two week enlargement of time, from January 31, 2007 to February 14, 2007 to respond or object to the plaintiff's Request for Interrogatories and Production as they pertain to the Third Amended Complaint, dated January 25, 2007. If the relief sought by way of this motion is denied, it will unduly prejudice the defendant, whereas if it is granted, it will not prejudice the plaintiff. The undersigned counsel for the defendant has obtained the consent of plaintiff's counsel, Mr. Tropp, for this two week enlargement of time. In the interim, counsel for the defendant has agreed to provide plaintiff's counsel with all documents already in their possession which are responsive to the discovery requests, absent any objection. WHEREFORE, the defendant respectfully requests that her Motion for an Enlargement of Time to February 14, 2007 to respond or object to the plaintiff's Request for Interrogatories and Production be granted.
Case 3:00-cv-00720-JCH
Document 121
Filed 02/02/2007
Page 2 of 2
DEFENDANT THERESA LANTZ RICHARD BLUMENTHAL ATTORNEY GENERAL
BY:
/s/ ________________ Robert B. Fiske, III Assistant Attorney General Fed. Bar No. ct17831 110 Sherman Street Hartford, CT 06105 Tel: (860) 808-5450 [email protected]
CERTIFICATION This certifies that a copy of the foregoing was mailed this, the 31rst day of January, 2007, to: Mr. Jonathan Tropp, Esq. Ms. Catherine Dugan O'Connor, Esq. Mr. William C. Mercer, Esq. Day Pitney LLP One Canterbury Green Stamford, CT 06901 __/s/____________________ Robert B. Fiske, III Assistant Attorney General