King Lincoln Bronzeville Neighborhood Association et al v. J. Kenneth Blackwell et al

Filing 48

MOTION for Extension of Time to File Response/Reply as to # 39 Motion for Relief from Stay; New date requested 8/29/2008. by Plaintiffs Ohio Voter Rights Alliance for Democracy, League of Young Voters/Columbus, Willis Brown, Paul Gregory, Miles Curtiss, Matthew Segal, Harvey Wasserman, King Lincoln Bronzeville Neighborhood Association. (Arnebeck, Clifford) Modified on 8/27/2008 to correct docket entry relationship (pes).

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King Lincoln Bronzeville Neighborhood Association et al v. J. Kenneth Blackwell et al Doc. 48 IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF OHIO, EASTERN DIVISION KING LINCOLN BRONZEVILLE NEIGHBORHOOD ASSOCIATION, ET AL., CASE NO. 2:06-CV-745 PLAINTIFFS, JUDGE MARBLEY VS. MAGISTRATE JUDGE KEMP JENNIFER BRUNNER, ET AL., DEFENDANTS. PLAINTIFFS' MOTION TO EXTEND TIME TO RESPOND TO DEFENDANT'S OPPOSITION TO RELIEF FROM STAY AT THIS TIME Plaintiffs move to extend by one week the time for them to respond to defendant's opposition to plaintiffs' motion for relief from the stay of this matter. Respectfully submitted, /s/ Clifford O. Arnebeck, Jr. Clifford O. Arnebeck Jr. (0033391) Trial Attorney arnebeck@aol.com Robert J. Fitrakis (0076796) truth@freepress.org 1000 East Main Street, Suite 102 Columbus, Ohio 43215 614-224-8771 Henry W. Eckhart (0020202) henryeckhart@aol.com 50 West Broad Street, Suite 2117 Columbus, Ohio 43215 614-461-0984 Counsel for Plaintiffs 1 Dockets.Justia.com MEMORANDUM IN SUPPORT OF MOTION Plaintiffs request an extension of one week, to August 29, 2008, to reply to defendant secretary of state's opposition to lifting of the stay of this case at this time, in order to more fully and adequately address the mutual vital concerns and interests of the parties in this matter. Defendant has consented to this request. Respectfully submitted, /s/Clifford O. Arnebeck, Jr. Clifford O. Arnebeck Jr. (0033391) Trial Attorney arnebeck@aol.com Robert J. Fitrakis (0076796) truth@freepress.org 1000 East Main Street, Suite 102 Columbus, Ohio 43215 614-224-8771 Henry W. Eckhart (0020202) henryeckhart@aol.com 50 West Broad Street, Suite 2117 Columbus, Ohio 43215 614-461-0984 Counsel for Plaintiffs CERTIFICATE OF SERVICE This is to certify a copy of the foregoing was served upon counsel of record by means of the Court's electronic filing system on this 22nd day of August 2008. /s/ Clifford O. Arnebeck, Jr. 2

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