UNITED STATES DISTRICT COURT
Motion for Extention of Time
FOR THE DISTRICT OF COLUMBIA
William Thomas, et. al. |
Plaintiffs pro se, |
v. | C.A. No. 95-1018
| Judge Charles R. Richey
The United States, et. al. |
PLAINTIFF'S FOURTH MOTION TO EXTEND TIME TO OPPOSE THE FEDERAL
AND DISTRICT OF COLUMBIA DEFENDANTS' RESPECTIVE MOTIONS TO
DISMISS OR IN THE ALTERNATIVE FOR SUMMARY JUDGMENT, AND REPLY TO
DEFENDANTS' OPPOSITION TO PLAINTIFF'S MOTION FOR PRELIMINARY
Regretably, notwithstanding plaintiffs Third Motion to Extend
Time to Oppose the Federal and District of Columbia Defendants'
Respective Motions to Dismiss or in the Alternative for Summary
Judgment, and Reply to Defendants Coopsition to Plaintiff's
Motion for Preliminary Injunction (in which plaintiff requested
until 4:00 p.m. on July 12, 1995 in which to file an Opposition
to the Defendants' dispositive Motions), plaintiff is still
unable to assemble a collection of papers which would serve to
meaningfully concisely and, with typographical accuracy address,
the many issues raised in defendants' volumnious ploeadings.
Plaintiff reassures the Court that he fully comprehends the
need for swift action in judicial matters, and deeply regrets
that his lack of expertise has inflicted on this case.
Upon the foregoing, the additional representation set forth
in the accompanyinq Memorandum of Points and Authorities in
further support of this motion, with even greater chargrin and
feelings of inadequacy, plaintiff finds no alternative but to
request again yet another extension of time in which to file an
opposition to defendants' aforesaid dispositve motions.
A proposed Order is attached.
Respectfully submitted this 12th day of July, 1995.
William Thomas, Plaintiff Pro Se
2817 11th Street N.W.,
Washington, D.C. 20005
CERTIFICATE OF SERVICE
I certify that, on this 14th day of July, 1995, copies of
PLAINTIFF'S THIRD MOTION TO EXTEND TIME TO OPPOSE THE FEDERAL AND
DISTRICT OF COLUMBIA DEFENDANTS' RESPECTIVE MOTIONS TO DISMISS OR
IN THE ALTERNATIVE FOR SUMMARY JUDGMENT, AND REPLY TO DEFENDANTS'
OPPOSITION TO PLAINTIFF'S MOTION FOR PRELIMINARY INJUNCTION, were
served by first-class mail, addressed to:
MARINA UTGOFF BRASWELL,
Assistant United States Attorney, Judiciary Center Building --
Rm. 10-820, 555 4th Street, N.W., Washington, D.C. 20001, and
BRUCE BRENNAN, Asst. Corporation Counsel, 441 4th Street NW ,
Suite 6-S-101, Washington, D.C. 20001.