Hornbeck Offshore Services, L.L.C. v. Salazar et al

Filing 171

EXPARTE/CONSENT MOTION to Expedite Consideration of Defendants' Consent Motion for Extension of Time to File Response to Plaintiffs' Motion to Enforce by Michael Bromwich, Bureau of Ocean Energy Management, Regulation, and Enforcement, Kenneth Lee Salazar and United States Department of the Interior. (Attachments: # 1 Proposed Order)(Collins, Brian) Modified on 9/9/2010 (caa, ).

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Hornbeck Offshore Services, L.L.C. v. Salazar et al Doc. 171 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF LOUISIANA HORNBECK OFFSHORE SERVICES, LLC, et al. Plaintiffs, v. KENNETH LEE "KEN" SALAZAR, et al, Defendants. CIVIL ACTION No. 10-1663(F)(2) SECTION F JUDGE FELDMAN MAGISTRATE 2 MAGISTRATE WILKINSON EX PARTE MOTION FOR EXPEDITED CONSIDERATION OF DEFENDANTS' CONSENT MOTION FOR EXTENSION OF TIME TO FILE RESPONSE TO PLAINTIFFS' MOTION TO ENFORCE Defendants, Kenneth Lee Salazar, United States Department of the Interior, Michael Bromwich, and the Bureau of Ocean Energy Management, Regulation, and Enforcement, ("Defendants"), hereby file this Motion for Expedited Consideration of Defendants' Consent Motion for Extension of Time to File Response to Plaintiffs' Motion to Enforce. Pursuant to Local Rule, Defendant's Response to Plaintiffs' Motion to Enforce is due September 14. Given the short time frame before the scheduled deadline, and the scope of the issues to be presented in Defendants' Response, Defendants respectfully submit that good cause exists to expedite consideration of Defendants' Motion for Extension. WHEREFORE, Defendants respectfully request that this Court grant its Motion for Extension, and that Defendants Response to Plaintiffs' Motion to Enforce be due by 12:00 noon on September 16, 2010 as indicated in Defendants Motion for Extension. A proposed order is attached. Respectfully submitted this 9th day of September, 2010. 1 Dockets.Justia.com IGNACIA S. MORENO Assistant Attorney General U.S. Dept. of Justice, Env't & Nat. Resources Div. /s/ Brian Collins GUILLERMO A. MONTERO (T.A.) BRIAN COLLINS KRISTOFOR SWANSON Natural Resources Section PO Box 663 Washington, DC 20016 Tel: (202)305-0443 PETER MANSFIELD Assistant United States Attorney Eastern District of Louisiana Hale Boggs Federal Building 500 Poydras Street, Suite B-210 New Orleans, Louisiana 70130 Tel: (504)680-3000 2 CERTIFICATE OF SERVICE I hereby certify that on September 9, 2010, I caused a copy of the foregoing to be served through the Court's CM/ECF System to all parties. /s/Brian Collins__ Brian Collins 3

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