Case 3:02-cv-02147-JBA
Document 39
Filed 06/09/2004
Page 1 of 2
UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT
MIGUEL A. DIAZ V. BRIAN FOLEY
: : : : :
CIVIL ACTION NO. 3:02CV2147 (JBA)
JUNE 8, 2004
MOTION FOR ENLARGEMENT OF TIME NUNC PRO TUNC Pursuant to Rule 6 of the Federal Rules of Civil Procedure and Local Rule 7(b)(1), defendant, Brian Foley, respectfully requests a forty-five (45) day extension of time, to and including July 15, 2004, to file an answer or motion addressed to the plaintiff's Complaint, nunc pro tunc. The Court issued its ruling on defendant's Motion to Dismiss on May 4, 2004 and therefore, defendant's answer was due on June 3, 2004. Undersigned counsel is involved in a lengthy trial in the case of Watts v. City of Hartford, et al, Civil Action No. 3:00-CV-0681 (RNC) at Hartford District Court and accordingly, needs the additional time to review the allegations in the Complaint with the defendant and to prepare an appropriate response or motion addressed to the Complaint. This is the defendant's first motion for enlargement of time in this matter. WHEREFORE, defendant, Brian Foley, respectfully moves for a forty-five (45) day extension of time, to and including July 15, 2004, in which to respond to the Complaint.
Case 3:02-cv-02147-JBA
Document 39
Filed 06/09/2004
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] His Attorneys CERTIFICATION This is to certify that on this 8th day of June, 2004, a copy of the foregoing Motion for Enlargement of Time Nunc Pro Tunc was mailed, postage prepaid, to: Miguel A. Diaz, #250008 MacDougall Correctional Institute 1153 East Street South Suffield, CT 06080
Eric P. Daigle
558537.1
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