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


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Date: December 31, 1969
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State: Colorado
Category: District Court of Colorado
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Case 1:04-cv-00188-WYD-CBS

Document 211

Filed 08/14/2007

Page 1 of 3

IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 04-cv-00188-WYD-CBS ESTATE OF WILLIAM E. HARVEY; AND WILLIAM B. HARVEY, Plaintiffs, v. UNITED STATES OF AMERICA, Defendant.
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PLAINTIFFS' UNOPPOSED MOTION FOR THREE-DAY ENLARGEMENT OF TIME TO FILE PROPOSED FINAL PRETRIAL ORDER
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PLAINTIFFS ESTATE OF WILLIAM E. HARVEY AND WILLIAM B. HARVEY, by and through their attorneys, the law firm of Olsen & Brown, LLC, move without opposition for an enlargement of time of three days, to and through August 17, 2007, to file the proposed final pretrial order, and as grounds therefor state as follows:

1. The pretrial conference is set for August 21, 2007, and counsel for the parties have conferred regarding the contents of the proposed pretrial order. Further work on it by counsel is needed. It is an unusually complex proposed order, because this is a medical malpractice death case with an unusually large number of issues, witnesses and documents. 2. Counsel for the defendant, Ms. Weishaupl, has communicated her concurrence in this motion.

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Case 1:04-cv-00188-WYD-CBS

Document 211

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3. No prior enlargement for this purpose has been sought. The proposed pretrial order is otherwise due on August 14, 2007. 4. Work on the proposed pretrial order has not been completed in a more timely fashion because the undersigned has been in trial in Boulder District Court and, in the instant case, the parties were completing briefing regarding a pending motion for partial summary judgment. Other pretrial matters in other cases have also interrupted work hereon. 5. The clients, through their spokesperson, are aware of, and concur in, this motion. 6. The parties had originally discussed seeking to delay the Final Pretrial Conference but were reminded of the Court's admonition that there would be no such delay.

WHEREFORE, plaintiffs respectfully move without opposition for an enlargement of time of three days, to and through August 17, 2007, to file the proposed final pretrial order.

RESPECTFULLY SUBMITTED, OLSEN & BROWN, LLC. By: s/ John R. Olsen John R. Olsen 8362 Greenwood Drive Niwot, CO 80503 (303) 652-1133 ATTORNEYS FOR THE PLAINTIFFS Date: August 14, 2007

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Filed 08/14/2007

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CERTIFICATE OF SERVICE The undersigned certifies that on August 14, 2007, a true and correct copy of the foregoing was electronically served upon the attorney for the defendant as follows: Elizabeth Weishaupl, Esq. Ass't U.S. Attorneys U.S. Attorney's Office 1225 17th St., Room 700 Denver, CO 80202

s/ John R. Olsen John R. Olsen

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