Case 3:02-cv-02147-JBA
Document 40
Filed 06/18/2004
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
MIGUEL A. DIAZ Pro se
V. BRIAN FOLEY Defendant
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CIVIL ACTION NO. 3:02CV2147 (JBA)
June 16, 2004
MOTION FOR MORE DEFINITE STATEMENT Pursuant to Rule 12(e) of the Federal Rules of Civil Procedure, the defendant, Brian Foley, hereby moves for a more definite statement of the plaintiff's complaint on the grounds that the allegations contained therein are vague, ambiguous and/or fail to identify specifically the source of federal constitutional or statutory rights of which the plaintiff alleges he was deprived. In support of this motion, the defendant submits the attached memorandum of law.
Case 3:02-cv-02147-JBA
Document 40
Filed 06/18/2004
Page 2 of 2
THE DEFENDANT: BRIAN FOLEY
By Eric P. Daigle of HALLORAN & SAGE LLP Fed. Bar #ct23486 One Goodwin Square 225 Asylum Street Hartford, CT 06103 (860) 522-6103 [email protected]
CERTIFICATION This is to certify that on this 17th day of June, 2004, a copy of the foregoing Motion for More Definite Statement was mailed, postage prepaid, to: Manuel A. Diaz, Inmate # 250008 C.R.C.I. P.O. Box 1400 Enfield, CT 06083
Eric P. Daigle
562087.1
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