Filed: Oct. 02, 2014
Latest Update: Oct. 02, 2014
Summary: STIPULATION TO EXTEND BRIEFING SCHEDULE; ORDER BARBARA A. McAULIFFE, District Judge. TO THE HONORABLE BARBARA A. McAULIFFE, MAGISTRATE JUDGE OF THE DISTRICT COURT: Plaintiff Terry Sharp ("Plaintiff") and defendant Carolyn Colvin, Acting Commissioner of Social Security ("Defendant"), through their undersigned counsel of record, hereby stipulate, pursuant to the Court's Scheduling Order, to extend for 60 days the time for Plaintiff to file Plaintiff's Opening Brief to November 17, 2014; and tha
Summary: STIPULATION TO EXTEND BRIEFING SCHEDULE; ORDER BARBARA A. McAULIFFE, District Judge. TO THE HONORABLE BARBARA A. McAULIFFE, MAGISTRATE JUDGE OF THE DISTRICT COURT: Plaintiff Terry Sharp ("Plaintiff") and defendant Carolyn Colvin, Acting Commissioner of Social Security ("Defendant"), through their undersigned counsel of record, hereby stipulate, pursuant to the Court's Scheduling Order, to extend for 60 days the time for Plaintiff to file Plaintiff's Opening Brief to November 17, 2014; and that..
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STIPULATION TO EXTEND BRIEFING SCHEDULE; ORDER
BARBARA A. McAULIFFE, District Judge.
TO THE HONORABLE BARBARA A. McAULIFFE, MAGISTRATE JUDGE OF THE DISTRICT COURT:
Plaintiff Terry Sharp ("Plaintiff") and defendant Carolyn Colvin, Acting Commissioner of Social Security ("Defendant"), through their undersigned counsel of record, hereby stipulate, pursuant to the Court's Scheduling Order, to extend for 60 days the time for Plaintiff to file Plaintiff's Opening Brief to November 17, 2014; and that Defendant shall have until December 17, 2014, to file her opposition, if any is forthcoming. Any reply by plaintiff will be due December 31, 2014.
An extension of time is needed because Plaintiff's Counsel's Spouse undergoes chemotherapy treatment for her Stage IV breast cancer which metastasized initially to her liver and continues to progress there and in her lungs, throat, and spine which required recent hospitalization to treat. Counsel requires the additional time to file the Joint Position Statement to allow him to devote the appropriate time to assist his Spouse and his two elementary school aged children through this obviously stressful experience. Counsel sincerely apologizes to the court for any inconvenience this may have had upon it or its staff.
DATE: October 1, 2014 BENJAMIN WAGNER
United States Attorney
Donna L. Calvert
Regional Chief Counsel, Region IX
Social Security Administration
ORDER
The Stipulation to extend time is granted.
IT IS SO ORDERED.