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


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Date: January 21, 2004
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State: Connecticut
Category: District Court of Connecticut
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I _ . Case 3:03-cv-OO9€?>WIG Document 46 Filed O1/20/2004 Page 1 of 3 I
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UNITED STATES DISTRICT COURT I 30
DISTRICT OF CONNECTICUT -‘_i_jj_ ;_.;;_.;‘,"i·j;£·§·· Cm Im-
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THOMAS MATYASOVSZKY, on behalf of : I
himself and all other persons similarly situated, : CIVIL ACTION NO.
Plaintiffs, :
: 3:03-CV-968 (RNC) l
V. :
HOUSING AUTHORITY OF THE CITY OF
BRIDGEPORT, COLLIN VICE, individually and : `
in her capacity as Executive Director of the Housing: I
Authority of the City of Bridgeport, and J ONAS : JANUARY 16, 2004 i
DE GUZMAN, individually and in his capacity as : I
Special Assistant to the Executive Director of the : I
Housing Authority of the City of Bridgeport, : .
Defendants. : I
PLAINTIFF’S MOTION TO EXTEND TIME TO DISCLOSE EXPERTS I
Pursuant to Fed. R. Civ. P. Rule 26 and Loc. R. Civ. P. 7 for the District of
Connecticut, plaintiff hereby requests a four week extension of times to designate an
expert and make expert disclosures. Plaintiff is unable to make such disclosures until he I
has had access to the application and tenant files upon which the expert would base his or I
her analysis. j
g This is th plaintiff s second request to extend time to make expert disclosures.
The first such motion was in the context of a stipulation between the parties to extend all I
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, ‘ Case 3:03-cv—OO9€§§/VIG Document 46 Filed O1/@004 Page 2 of 3 i
deadlines inthe case by six weeks. Defendants’ counsel Attorney Ryan has consented to
this motion, on the condition that defendants’ deadlines would be correspondingly
lengthened. Thus, plaintiff and defendant propose the following schedule modification:
F ebmary 26, 2004 Plaintiffs expert disclosure `
April 13, 2004 Plaintiff s expert deposed by defendants
May 13, 2004 Defendants’ expeit disclosure I
June 13, 2004 Defendants’ expert deposed by plaintiffs
June 13, 2004 Discovery completion deadline
Respectfully submitted, l
PLAINTIFF THOMAS MATYASOVSZKY |
By . f
Jennif Vickery, q. (Ct24089)
Law Offices of Alan Rosner
1115 Main Street, Suite 415
Bridgeport, CT 06604
Tel. (203) 384-1245, Fax. (203) 384-1246 ;
Email: [email protected] l
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J ‘ Case 3:O3—cv—OO9E38§NIG Document 46 Filed O1/%O§OO4 Page 3 of 3 }
CERTIFICATION
This is to certify that a copy of the foregoing has been sent by mail on this 16th day of
January, 2004 to:
Michael T. Ryan and James Mahar
Ryan, Ryan, Johnson & Deluca, LLP
80 Fourth Street, P.O. Box 3057
Stamford, CT 06905-3057
I Commissioner 03 Superior Court l
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