Free Motion for Extension of Time to File Response/Reply - District Court of Federal Claims - federal


File Size: 16.6 kB
Pages: 2
Date: April 19, 2007
File Format: PDF
State: federal
Category: District
Author: unknown
Word Count: 290 Words, 1,964 Characters
Page Size: Letter (8 1/2" x 11")
URL

https://www.findforms.com/pdf_files/cofc/3688/82-1.pdf

Download Motion for Extension of Time to File Response/Reply - District Court of Federal Claims ( 16.6 kB)


Preview Motion for Extension of Time to File Response/Reply - District Court of Federal Claims
Case 1:03-cv-00287-SGB

Document 82

Filed 04/19/2007

Page 1 of 2

IN THE UNITED STATES COURT OF FEDERAL CLAIMS
_________________________________________________ ) ASSET 42302 LLC, ) ) Plaintiff, ) ) v. ) ) UNITED STATES OF AMERICA, ) ) Defendant. ) _________________________________________________ )

Civil Action. No. 03-287-C (SGB)

DECLARATION IN SUPPORT OF UNOPPOSED MOTION FOR AN ENLARGEMENT OF TIME IN WHICH TO FILE REPLY AND OPPOSITION TO GOVERNMENT'S CROSS-MOTION FOR SUMMARY JUDGMENT ROBERT J. HOWARD, an attorney duly admitted to practice before the Court of Federal Claims, hereby declares pursuant to 28 U.S.C. ยง1746, as follows: 1. I am an associate of the firm of Rosenberg Calica & Birney LLP, attorneys for the

plaintiff, Asset 042302 LLC ("Plaintiff"), and I submit this declaration in support of the instant application to enlarge the time in which to file a reply to plaintiff's motion for summary judgment and oppose the government's cross-motion for summary judgment for 14 days, from Thursday, April 19, 2007 to Thursday, May 3, 2007. The Postal Service's attorney, Michael F. Kieley, fully consents to this request, and this is the first request for an enlargement in this regard. 2. This request for enlargement became necessary due the complexities of the legal

issues raised in the government's cross-motion, prior obligations of counsel, and the intervening Passover holiday. Counsel fully expects that no further enactments will be necessary.

Case 1:03-cv-00287-SGB

Document 82

Filed 04/19/2007

Page 2 of 2

3.

Accordingly, we respectfully request that this unopposed request for a 14 day

enlargement be granted. Dated: Garden City, New York April 19, 2007 Respectfully submitted,

/s/ Robert J. Howard /s/ Robert J. Howard ROSENBERG CALICA & BIRNEY LLP Attorneys for plaintiff 100 Garden City Plaza - Suite 408 Garden City, New York 11530 (516) 747-7400

G:\Spodek\ASSET LLC\Legal\Declaration_enlarge_XMSH 041907.wpd

2