Free Motion for Miscellaneous Relief - District Court of Colorado - Colorado


File Size: 146.6 kB
Pages: 3
Date: November 1, 2005
File Format: PDF
State: Colorado
Category: District Court of Colorado
Author: unknown
Word Count: 420 Words, 2,910 Characters
Page Size: Letter (8 1/2" x 11")
URL

https://www.findforms.com/pdf_files/cod/20658/165.pdf

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Case 1:03-cv-02319-WDM-MJW

Document 165

Filed 11/01/2005

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IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No.: 03-CV-02319-WDM-MJW OLOYEA D. WALLIN, Plaintiff, vs. CMI, KIM DEMPEWOLF, RYAN BRADLEY, MARY, SANDRA, AARON, JASON and CHARLES Defendants. ______________________________________________________________________________ DEFENDANTS' MOTION FOR RELEASE OF ADDRESS INFORMATION OF DEFENDANTS SANDRA CANNON-GRANT AND CHARLES ABBOTT ______________________________________________________________________________ COME NOW the Defendants, CMI, Kim Dempewolf, Marye Deming and Jason Coolidge, by and through counsel, and hereby submit the following Motion for Release of Address Information of Defendants Sandra Cannon-Grant and Charles Abbott, as follows: 1. Defendants Sandra Cannon-Grant and Charles Abbott were served on September 28,

2005. The Court granted an extension of time for these Defendants to file an Answer, to and including November 1, 2005. Defendants are contemporaneously filing a Second Motion for Extension of Time for these Defendants to file an Answer, to and including November 28, 2005. 2. On June 20, 2005, the undersigned provided the last known address information of

Case 1:03-cv-02319-WDM-MJW

Document 165

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various unserved Defendants in this case under seal. It is believed that Plaintiff has provided the Court with alternative addresses other than the addresses filed by Defendants under seal. The undersigned has attempted to contact these individuals using the addresses provided under seal, but it is believed that the addresses are no longer valid. Defendants request that the Court release the address information that was provided to the U.S. Marshall Service in order to effectuate service on Defendants Cannon-Grant and Abbott. The purpose of Defendants' request is to contact these Defendants and confirm representation. 3. Defendants submit that Plaintiff will not be prejudiced by providing the undersigned

with accurate address information as it will help eliminate further delays in this case.

Respectfully submitted this 1st day of November, 2005. s/ Steven J. Wienczkowski Steven J. Wienczkowski PRYOR JOHNSON CARNEY KARR NIXON , P.C. 5619 DTC Parkway, Suite 1200 Greenwood Village, Colorado 80111 (303) 773-3500 E-Mail: [email protected] ATTORNEYS FOR CMI, KIM DEMPEWOLF, MARYE DEMING AND JASON COOLIDGE

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Case 1:03-cv-02319-WDM-MJW

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CERTIFICATE OF SERVICE I hereby certify that on the 1st day of November, 2005, a true and correct copy of the foregoing was placed in the U.S. Mail, postage prepaid thereon, addressed to: Oloyea D. Wallin Reg. #111389 Arkansas Valley Correctional Facility P.O. Box 1000 Crowley, Colorado 81034

s/Laura Buckingham Laura Buckingham, on behalf of Pryor Johnson Carney Karr Nixon, P.C.

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