Great Lakes Exploration Group LLC v. Unidentified Wrecked and (For Salvage-Right Purposes), Abandoned Sailing Vessel, The

Filing 90

UNOPPOSED MOTION for extension of time to file Memorandum in Opposition to Defendants Motion to Dismiss by plaintiff Great Lakes Exploration Group LLC; (Attachments: # 1 Memorandum in Support of Enlargement of Time# 2 Proposed Order) (Robol, Richard)

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Great Lakes Exploration Group LLC v. Unidentified Wrecked and (For Sa...bandoned Sailing Vessel, The Doc. 9 IN THE UNITED STATES DISTRICT COURT FOR THE WESTERN DISTRICT OF MICHIGAN Northern Division GREAT LAKES EXPLORATION GROUP LLC Plaintiff, v. The Unidentified, Wrecked and (For Salvage Right Purposes), Abandoned Sailing Vessel, etc. Defendant, et al. ) ) ) ) Civil Action No. 1:04-CV-375 ) ) HON. ROBERT HOLMES BELL ) ) PLAINTIFF GREAT LAKES EXPLORATION'S UNOPPOSED MOTION FOR BRIEF ENLARGEMENT OF TIME DUE TO COUNSEL'S U.S. ARMY OBLIGATION Plaintiff Great Lakes Exploration respectfully moves the Court to enlarge its time for filing its Memorandum in Opposition to Intervenors' Motion to Dismiss from the current due date of Thursday, June 22, 2006 to Monday, June 26, 2006. Plaintiff makes this Motion due to orders received by counsel for Plaintiff (who is an officer in the U.S. Army Reserve), requiring that he report to Camp Atterbury, Indiana from Wednesday , June 21, 2006 through Saturday, June 24, 2006. A brief extension of time will permit Plaintiff's counsel to fulfill his duty as an officer in the U.S. Army Reserve to report to Camp Atterbury, while also fulfilling his duty as an officer of the Court to provide a zealous and informative analysis of the issues raised by Intervenors' Motion to Dismiss. Conversely, fairness to Intervenors requires that their date for filing their Reply be extended commensurately with the enlargement of Plaintiff's time, and the parties have agreed to an extension through July 10, 2006. A proposed Order is attached. Intervenors have consented to this extension. Dockets.Justia.com In further support of this Motion, Plaintiff adopts the analysis and authorities set forth in the attached Memorandum. Respectfully submitted, GREAT LAKES EXPLORATION /s/ Richard T. Robol_______________ Richard T. Robol B 0064345 Attorney for Plaintiff ROBOL LAW OFFICE, LPA 555 City Park Avenue Columbus, Ohio 43215 Telephone: (614) 737-3739 Facsimile: (614) 737-3756 rrobol@robollaw.com CERTIFICATE OF SERVICE I hereby certify that on this 19th day of June, 2006 , a copy of the foregoing was served by electronic mail via the Court's ECF system upon all counsel of record. /s/ Richard T. Robol ____________ Of Counsel 2

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