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


File Size: 57.7 kB
Pages: 3
Date: August 13, 2004
File Format: PDF
State: Connecticut
Category: District Court of Connecticut
Author: unknown
Word Count: 479 Words, 2,825 Characters
Page Size: 612.72 x 1008 pts
URL

https://www.findforms.com/pdf_files/ctd/20583/33.pdf

Download Motion for Extension of Time - District Court of Connecticut ( 57.7 kB)


Preview Motion for Extension of Time - District Court of Connecticut
i A n lnlll 1 I DocumeDfC3i3 Filed 08/12[2004 Page 1 of 3 —
. <2 1 tgp
UNITED STATES DISTRICT cougg
DISTRICT OF CONNECTICUT
Z ROY SASTROM AND ROBERT KALMAN : CI\{@§l;Al(lH`IK§i\I @03* L1 8
1 """"‘% i
i JAMES CASSIDY, PH.D., JD., AND
‘ GARRELL MULLANEY, C.E.O. :
1 Defendants : AUGUST 12, 2004
A DEFENDANTS’ MOTION FOR ENLARGEMENT
OF TIME TO FILE THEIR MOTION FOR SUMMARY JUDGMENT .
Pursuant to Local Rule of Civil Procedure Rule 7(b), the defendants, James Cassidy,
Ph.D., J.D., and Garrell Mullaney, C.E.O., move for an enlargement of time to file their motion
for summary judgment. The defendants’ motion for summary judgment is currently due on r
August 23, 2004. I
On April 30, 2004 the defendants filed a Motion for Sanctions asking the Court to dismiss
the plaintiffs’ complaint because the plaintiffs failed to comply with the Court’S Order requiring
the plaintiffs to respond to the defendants’ discovery request. That Motion was referred to
Magistrate Judge Martinez on May 3, 2004 and a decision is still pending. Since a decision on
the Motion For Sanctions may terminate the lawsuit, the defendants request an additional 60 i
days after the decision to file their Motion for Summary Judgment if the lawsuit is not dismissed.
Plaintiffs, Roy Sastrom and Robert Kalman are involuntarily confined at the Whiting
Forensic Division of Connecticut Valley Hospital and Connecticut Valley Hospital, Dutcher
Hall, respectively. Counsel has not contacted the plaintiffs regarding this motion for
enlargement of time.
This is the defendants’ fourth request for enlargement of time to tile their motion for
summary judgment. I
l
J
l
I



TT" A *"r—r—~ P —- V —V V —V V —V t e t Y I A o y I I i__Q , , V g“___“w

Case 3:02-cv-02132-AWT Document 33 Filed 08/1(2/$004 Page 2 of 3
` RICHARD BLUMENTHAL
ATTORNEY GENERAL
T Richard J. Lynch
i Assistant Attorney General
Y _ Q \ t
I BY: P U)
i Patrick B. Kwanashie
l Assistant Attorney General
l Federal Bar N0. 09206
A 55 Elm Street, P.O. Box 120
Hartford, CT 06141-0120
Tel: (860) 808-5210
Fax: (860) 808-5385 i
Email: [email protected] J
I
l
l
l
l
l

" I Case 3:02-cv-O2132>AWT Document 33 Filed 08/t-2/@004 Page 3 of 3
R CERTIFICATION
I hereby certify that a copy of the foregoing Defendants ’ Motion For Enlargement of
T ime was mailed in accordance with Rule 5(b) ofthe Federal Rules of Civil Procedure on this
I2"` day of August, 2004, first class postage prepaid to:
Roy Sastrom Y
Whiting Forensic Institute {
70 O’Brien Drive
Middletown, CT 06457
Robert Kalman
Connecticut Valley Hospital
Dutcher Hall
P.O. Box 351
Middletown, CT 06457
Patrick B. Kwanashie
Assistant Attorney General
l
E