CoStar Realty Information, Inc. et al v. David Arffa, et al
Filing
7
Consent MOTION for Extension of Time for Defendant Arffa to Answer by CoStar Realty Information, Inc., CoStar Group, Inc. Responses due by 12/26/2008 (Sauers, William)
CoStar Realty Information, Inc. et al v. David Arffa, et al
Doc. 7
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MARYLAND COSTAR REALTY INFORMATION, INC., and COSTAR GROUP, INC., Plaintiffs, v. DAVID ARFFA, and ROBIN MEISSNER Defendants. Civil Action No. 8:08-cv-2766-DKC
UNCONTESTED MOTION FOR EXTENSION OF TIME FOR DEFENDANT DAVID ARFFA TO ANSWER COMPLAINT Plaintiffs CoStar Realty Information, Inc., and CoStar Group, Inc. (collectively, "CoStar") and Defendant David Arffa move this Court to enter an Order enlarging the time within which Defendant David Arffa must respond to CoStar's complaint, through and including December 16, 2008. As grounds therefore the parties state that they are currently engaged in settlement discussions, and that the parties have made substantial progress in those discussions. The parties believe that further negotiations may lead to a settlement of this case, which would relieve the Court and the parties of the burden and expense of litigating this matter. This Court has the authority to grant the relief requested herein pursuant to Rule 6(b), Fed. R. Civ. P. Pursuant to Local Rule 105.9, the undersigned counsel for CoStar represent that they have obtained the consent of counsel for Defendant David Arffa to file this motion.
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Dated: December 8, 2008
Respectfully submitted,
______/s/__________________________ Shari Ross Lahlou, Bar. No. 16570 William J. Sauers, Bar No. 17355 Crowell & Moring LLP 1001 Pennsylvania Avenue, N.W. Washington, D.C. 20004 Telephone: (202) 624-2500 Facsimile: (202) 628-5116 Email: slahlou@crowell.com wsauers@crowell.com Attorneys for Plaintiffs CoStar Realty Information, Inc. and CoStar Group, Inc.
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CERTIFICATE OF SERVICE I hereby certify that service required by Fed. R. Civ. P. 5 was made, and that a true copy of the above document was served upon the attorneys of record by electronically filing the document with the Clerk of Court using the CM/ECF system, which caused a Notice of Electronic Filing (NEF) to be sent to the following on December 8, 2008: Olabisi A Onisile Onisile Law Firm PLLC 1928 E Highland Ave Ste F104-472 Phoenix , AZ 85016 Telephone: (602) 751-0052 Fax: (602) 445-4967 Email: bisi@onisilelaw.com Attorney for Defendant Robin Meissner I further certify that service required by Fed. R. Civ. P. 5 was made, and that a true copy of the above document was sent to the following via electronic mail and first class mail on December 8, 2008: S. Jay Calhoun The Law Offices of Donald W. Hudspeth, P.C. 3030 N. Central Ave., Suite 604 Phoenix, AZ 85012 Telephone: (602) 265-7997 Email: jay@azbuslaw.com /s/ William J. Sauers, Bar No. 17355 CROWELL & MORING LLP 1001 Pennsylvania Avenue, NW Washington, D.C. 20004-2595 Telephone: (202) 624-2500 Facsimile: (202) 628-5116 Email: wsauers@crowell.com Attorneys for Plaintiffs CoStar Realty Information, Inc. and CoStar Group, Inc.
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