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49
Case 1:05-cv-00354-DFH-TAB Document 49 Filed 10/24/2005 Page 1 of 3
Plaintiff, Stelor Productions, Inc. (“Plaintiff”), by counsel, pursuant to Trial Rule 6(b),
moves the Court for an additional enlargement of time to file its answer brief to Defendants’
Motion to Dismiss, and shows the Court the following in support thereof:
3. Due to a hurricane, counsel for Plaintiff, David Zack, is unable to transmit the
answer brief and requests an additional seven (7) days in which to do so.
5. On October 24, 2005, counsel for Plaintiff called counsel for Defendants, Bryan
Redding, concerning the requested enlargement, and Mr. Redding consented to the requested
enlargement of time.
Dockets.Justia.com
Case 1:05-cv-00354-DFH-TAB Document 49 Filed 10/24/2005 Page 2 of 3
WHEREFORE, Plaintiff Stelor Productions, Inc. prays for an additional seven (7) days,
to and including October 31, 2005, to file its answer brief to Defendants’ Motion to Dismiss.
Respectfully submitted,
Of counsel:
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Case 1:05-cv-00354-DFH-TAB Document 49 Filed 10/24/2005 Page 3 of 3
CERTIFICATE OF SERVICE
I hereby certify that on October 24, 2005, a copy of the foregoing Motion for Additional
Enlargement of Time was filed electronically. Notice of this filing will be sent to the following
party by operation of the Court’s electronic filing system. Parties may access this filing through
the Court’s system.
Bryan S. Redding
Cohen Garelick & Glazier
bredding@cgglawfirm.com