Free Motion for Reconsideration - District Court of Connecticut - Connecticut


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Date: February 25, 2004
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State: Connecticut
Category: District Court of Connecticut
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Case 3:02-cv-02009-TPS

Document 23

Filed 03/02/2004

Page 1 of 2

UNITED STATES DISTRICT COURT DISTRICT OF CONNECTICUT ____________________________________ JOHN W. BLASSINGAME, JR. ADMINISTRATOR OF THE ESTATE OF JOHN W. BLASSINGAME Plaintiff, : : : : : V. : : YALE UNIVERSITY : Defendant. : ____________________________________

CIVIL ACTION NO.: 302CV02009(CFD) FEBRUARY 25, 2004

MOTION TO RECONSIDER The Plaintiff respectfully represents requests the Court to reconsider the Motion to Compel dated August 29, 2003 on the following grounds: 1. Plaintiff sent Interrogatories and Requests for Production to the Defendant dated March 11, 2003. 2. Defendant responded to Plaintiff's Interrogatories and Requests for Production on April 3, 2003; however, Defendants objected to each and every interrogatory and request. 3. Plaintiff filed a Motion to Compel dated August 29, 2003 to compel the Defendants to respond to the Interrogatories and Requests for Production. 4. Plaintiff's Motion to Compel was denied on October 28, 2003 on the grounds that the Defendants had responded. 5. Defendants' reply was unresponsive due to the fact that they objected to each and every interrogatory and request for production. 6. Defendants admitted to serving the objections in a pleading dated April 3, 2003 in their Memo in Opposition to Plaintiff's Motion to Compel dated October 17, 2003.

Case 3:02-cv-02009-TPS

Document 23

Filed 03/02/2004

Page 2 of 2

WHEREFORE, the Plaintiff prays that that the Court reconsider its Motion to Compel the Defendant to respond to Plaintiff's Interrogatories and Requests for Production dated March 11, 2003 or schedule a hearing on the issues regarding Defendants' objections. THE PLAINTIFF JOHN W. BLASSINGAME, JR.

BY: IKECHUKWU UMEUGO HIS ATTORNEY UMEUGO & ASSOCIATES, P.C. 620 BOSTON POST ROAD WEST HAVEN, CT 06516 (203)931-2680; FED.BAR#Ct04536

CERTIFICATION This is to certify that a copy of the foregoing was mailed, postage prepaid, on the abovewritten date, to: Patrick M. Noonan, Esq. Delaney, Zemetis, Donahue, Durham & Noonan, P.C. 741 Boston Post Road Guilford, CT 06437

Ikechukwu Umeugo