Case 1:00-cv-00129-FMA
Document 73
Filed 08/03/2004
Page 1 of 3
IN THE UNITED STATES COURT OF FEDERAL CLAIMS
LOCKHEED MARTIN CORPORATION, ) ) Plaintiff, ) ) v. ) ) UNITED STATES OF AMERICA, ) ) Defendant. )
No. 00-129C (Judge Allegra)
PLAINTIFF'S UNOPPOSED MOTION FOR AN ENLARGEMENT OF TIME Pursuant to Rule 6.1 of the United States Court of Federal Claims, counsel for plaintiff respectfully moves for an enlargement of time of 10 days, to and including August 26, 2004, within which to file its Motion for Summary Judgment. Accordingly, counsel for plaintiff further moves for an enlargement of time of 10 days, to and including October 7, 2004, for filing of defendant's Cross-motion for Summary Judgment. The dates for filing such motions have not previously been enlarged. Plaintiff requires the requested time extension to confer with the necessary individuals at the company and accommodate vacation schedules of such individuals.
Case 1:00-cv-00129-FMA
Document 73
Filed 08/03/2004
Page 2 of 3
Counsel for plaintiff has discussed this motion with counsel for defendant, and she has no objections to this motion. Respectfully submitted, _________________________________ Clarence T. Kipps, Jr., Esq. MILLER & CHEVALIER Chartered 655 15th Street, N.W., Suite 900 Washington, D.C. 20005 Tel: (202) 626-5800 Fax: (202) 628-0858 Attorney of Record Lockheed Martin Corporation Of Counsel: David M. Christenson, Esq. LOCKHEED MARTIN CORPORATION 6801 Rockledge Drive Bethesda, Maryland 20817 Tel: (301) 897-6127 Fax: (301) 897-6333
Dated: August 3, 2004
2
Case 1:00-cv-00129-FMA
Document 73
Filed 08/03/2004
Page 3 of 3
CERTIFICATE OF SERVICE I hereby certify under penalty of perjury that on this 3rd day of August, 2004, I caused to be hand-delivered PLAINTIFF'S UNOPPOSED MOTION FOR AN ENLARGEMENT OF TIME addressed as follows:
Dorie Finnerman, Esq. Commercial Litigation Branch Civil Division Department of Justice 1100 L Street, N.W. Attn: Classification Unit, 8th Floor Washington, D.C. 20530 Tel: (202) 514-7300
Clarence T. Kipps
3