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


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Date: December 31, 1969
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State: Connecticut
Category: District Court of Connecticut
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Case 3:00-cv-00311-CFD Document 162 Filed 05/10/2006 Page 1 of 2
UNITED STATES DISTRICT COURT
DISTRICT OF CONNECTICUT
(Hartford)
)
JOHN COX, EXECUTIVE DIRECTOR, NEW HAVEN )
COMMISSION ON EQUAL OPPORTUNITIES, )
)
Plaintiff )
v» )
)
EDWARD L. BLANK) in his official and individual capacities )‘
AND NEW HAVEN HOUSTNG AUTHORITY, )
) No. 3:00 CV 311 (CFD)
Defendant and Third Party Plaintiffs )
v. )
_ )
BEACON/CORCORAN, JENNISON, LP, STAMP ORD )
WRECKING AND ANDREW CUOMO, SECRETARY FOR )
THE FEDERAL AND UNITED STATES DEPARTMENT OF )
HOUSING AND URBAN DEVELOPMENT (HUD), )
)
Third Party Defendants ) MAY I0, 2006

MOTION OF THIRD PARTY DEFENDAN T BEACON/CORCORAN PARTNERS LLC
FOR AN EXTENSION OF TIME IN WHICH TO FILE PROPOSED FINDINGS AND
CONCLUSIONS CONCERNING
RENEWEI) MOTION FOR SUMMARY JUDGMENT ON
COUNTS II AND III OF THE CROSS CLAIM OF
THIRD PARTY DEFENDANT STAMFORD WRECKING COMPANY
Third Party Defendant BeaccnfCorcoran Partners LLC ("ECJ") hereby moves this Court
for an extension of 4 days, to and inciuding May 19, 2006, in which to file its proposed findings
and conclusions concerning renewed its motion for summary judgnient ("Renewed Sunimary
Judgment Motion) on Counts H and HI of the cross claim of Third Party Defendant Stamford
Wrecking Company ("Stamford") against BCI, As grounds for this motion, BC] states as
follows:

Case 3:00-cv-00311-CFD Document 162 Filed 05/10/2006 Page 2 of 2
l. This Court held a hearing on BC.l’s Renewed Summary Judgment Motion on
April 7, 2006, at the conctusion of which the Court requested that BC] submit proposed tindings
and conclusions by May 15, 2006.
2. As undersigned counsel told the Coun; on April 7, counsel was involved in a trial
matter through the end. of last week. Since the conclusion of that matter, certain unexpected
matters have required attention such that a few extra days are necessary for counsel’s thorough
preparation of proposed findings and conclusions in the instant case.
3. Counsel for Stamford assents to the granting of the relief requested herein.
WHEREFORE, BC} respectfully requests that the Court grant a 4 day extension of tirne,
to and including May l9, 2006, for the tiling of BCJ’s proposed findings and conclusions.
Respectfully submitted,
THIRD PARTY DEFENDANT
BEACON/CORCORAN JENNISON
PARTNERS, LLC
By their attorneys,
//s// Janet Steckel Lundberg
Richard M. Bluestein (F ed Bar #@23002)
Janet Steckel Lundberg (Fed Bar #ct23003)
KROKQIDAS & BLUESTETN LLP
600 Atlantic Avenue
Boston, MA 02210
(6l7) 482-721 I
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