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DISTRICT OF CONNECTICUT ` ` ·
WILLIAM LAPUT :
Plaintiff, CIVIL ACTION NO. N
: 3:03CV1045(WWE)
v. :
LARKIN ENTERPRISES INC. I
Defendant. OCTOBER 14, 2003 N
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The Plaintiff, William Laput, (“P1aintiff Laput"), pursuant to Local Rule of Civil
Procedure 7(b) hereby requests an extension of time of thirty (30) days from October 18, 2003 up
to and including November 18, 2003, to respond to the Defendant, Larkin Enterprises, Inc.’s N
("Defendant Larkin") First Set of Interrogatories dated September 18, 2003 and First Request for N
Production dated September 24, 2003. In support hereof Plaintiff Laput represents as follows:
1. Plaintiff Laput’s counsel has not sought any prior enlargement of time to
respond to Defendant's discovery requests.
2. Defendant's counsel consents to the requested extension of time. N
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_». · *2 · Case 3:03-cv-O1OEl5eWWE Document 8 Filed 10/t7€OO3 Page 2 of 2
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WHEREFORE, the Plaintiff Laput respectfully requests an extension of time up to and l
including November 18, 2003, to respond to the Defendant Larkin's First of Interrogatories dated
September 18, 2003 and First Request for Production dated September 24, 2003.
1
THE PLAINTIFF, il
WILLIAM LAPUT {
1
gl 1
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Byr IZIL. l ,_ pe h/
Holly Quac .· · bush Darin
Federal B o. ct 10183 p
Satti & Satti, PC
225 State Street, Suite 200
New London, CT 06320 I
(860) 447-8975
His Attorney
This is to certify that on this 14th day of October 2003, the foregoing was sent First Class
Mail, postage prepaid to the following attorneys of record: `
Bernard E. Jacques i
Pepe & Hazard. LLP l
225 Asylum Street
Hartford, CT 06103-4302
olly uackenbush Darin p I
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