Kamburowski et al v. Kidd et al

Filing 47

Letter from F. Franklin Amanat, AUSA-EDNY, to Hon. Carol B. Amon. USDJ, transmitting courtesy hard-copies of 42 , 43 , 44 , 45 , and 46 by Michael Kidd, John Carbone (Amanat, F.)

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Kamburowski et al v. Kidd et al Doc. 47 U.S. Department of Justice United States Attorney Eastern District of New York 271 Cadman Plaza East Brooklyn, New York 11201-1820 March 4, 2008 BY ELECTRONIC COURT FILING AND HAND DELIVERY OF COURTESY COPY Honorable Carol B. Amon United States District Judge Eastern District of New York 225 Cadman Plaza East Brooklyn, NY 11201 Re: Kamburowski v. Kidd, No. 05-CV-0953 (CBA/RLM) Dear Judge Amon: Enclosed please find courtesy hard-copies of the following motion papers, all of which have been electronically filed in the above-referenced civil action: 1) 2) 3) Amended Notice of Defendants' Motion to Dismiss the Amended Complaint, or, in the Alternative, for Summary Judgment (docket no. 43); Memorandum of Law in Support of said motion (docket no. 44); Rule 56.1 Statement of Material Facts as to Which No Genuine Issue Remains to Be Tried, to which is annexed (a) Declaration of Michael S. Kidd, (b) Declaration of F. Franklin Amanat, and (c) Exhibits 1 through 5 in support of the motion (docket no. 45); Plaintiff's Memorandum of Law in Opposition to Government's Motion to Dismiss (docket no. 42); Reply Memorandum of Law in Support of Defendants' Motion, to which is annexed Exhibit 6 in support of the motion (docket no. 46). 4) 5) The parties have exchanged service copies of the above motion papers in accordance with the amended briefing schedule set by the Court, and now that briefing has been Dockets.Justia.com Honorable Carol B. Amon Kamburowski v. Kidd, No. 05-CV-0953 (CBA/RLM) March 4, 2008 Page 2 completed we have electronically filed all the papers and respectfully tender a courtesy copy of the briefing bundle. The Court has set oral argument on defendants' motion for Tuesday, March 18, 2008, at 11:30 a.m. We stand ready to appear before the Court at that time to be heard on our motion to dismiss the amended complaint, or, in the alternative, for summary judgment, and we respectfully ask that our motion be granted. We appreciate your Honor's time and attention to this matter. Respectfully submitted, BE N T O N J. CAMPBELL United States Attorney Eastern District of New York By: /s/ {FILED ELECTRONICALLY} F. FRANKLIN AMANAT Assistant United States Attorney (718) 254-6024 Encls.: As listed above cc (by Interoffice Mail w/ all encls.): Honorable Roanne L. Mann United States Magistrate Judge cc (by email and regular mail w/ encl. #5 only): Michael P. DiRaimondo, Esq. mpdesq@aol.com Mary Elizabeth Delli-Pizzi, Esq. bethdellipizzi@aol.com Thomas E. Moseley, Esq. [no email address]

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