Case 1:09-cv-00253-JBS-JS

Document 30

Filed 07/06/2009

Page 1 of 1

LAW OFFICES OF MARIO APUZZO 185 Gatzmer Avenue Jamesburg, New Jersey 08831 (732) 521-1900 FAX (732) 521-3906 Email apuzzo@erols.com

July 6, 2009 ELECTRONICALLY FILED Clerk United States District Court District of New Jersey Mitchell H. Cohen U.S. Courthouse 1 John F. Gerry Plaza Camden, New Jersey 08101 Re: Kerchner et als. v. Obama et als. Civil Action No.: 09-253 Dear Sir or Madam: I am writing this letter pursuant to L.Civ.R. 7.1(d)(5). There is currently pending a defense motion to dismiss the complaint/petition, returnable Friday, July 20, 2009. Plaintiffs’ opposition is due by Monday, July 6, 2009. I am asking for an automatic extension of the motion day. The new motion day shall be Friday, August 3, 2009. Plaintiffs shall file their opposition papers at least 14 days prior to the new motion day, and the moving party shall file its reply papers, if any, at least seven calendar days prior to the new motion day.

Respectfully yours,

s/Mario Apuzzo Mario Apuzzo MA Cc: Elizabeth A. Pascal, Esq. electronically

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