IN THE UNITED STATES DISTRICT COURT FOR THE
EASTERN DISTRICT OF OKLAHOMA

No. CIV-97-113-B

DOUGLAS G. DRY, et al.,

Plaintiffs,
vs.

UNITED STATES OF AMERICA, et. al.

Defendants.

 

MOTION FOR EXTENTION OF TIME

COMES NOW the Plaintiffs, by and through their attorney of record, Scott Kayla Morrison, and moves this Court for an extention of ten (10) days to respond to Motions to Dismiss filed by Defendants USA, Kim Reed, and Robert L. Rabon, and respectfully shows the Court:
That there are no objections from the U.S. Attorney's Office for the Northern District and and Steidley & Neal law firm to this extention.

Wherefore, Plaintiffs move the Court to extend the time to respond to Motions to Dismiss to July 14, 1997.

Respectfully submitted,

 

_________________________
SCOTT KAYLA MORRISON, OBA #017323
Attorney for Plaintiffs
103 _ West Main
Post Office Box 637
Wilburton, OK 74578
(918) 465-5033

CERTIFICATE OF MAILING

On the ____ day of July, 1997, I certify that I placed in the U.S. Mail, first class postage pre-paid a true and correct of the above and foregoing Plaintiffs' Motion for Extension of Time to Respond to Defendants' Motion to Dismiss to the following:

Peter Bernhardt Eric Janzen
Assistant U.S. Attorney W.G. "Gil" Steidley, Jr.
333 W. Fourth Street, Ste. 3460 Steidley & Neal
Tulsa, OK 74103 P.O. Box 1165
McAlester, Oklahoma 74502

Alison Cave
Steidley & Neal
PO Box 1165
McAlester, OK 74502

_________________________________
Scott K. Morrison


IN THE UNITED STATES DISTRICT COURT FOR THE
EASTERN DISTRICT OF OKLAHOMA

No. CIV-97-113-B

DOUGLAS G. DRY, et al.,

Plaintiffs,
vs.

UNITED STATES OF AMERICA, et. al.

Defendants.

MOTION FOR EXTENTION OF TIME

COMES NOW the Plaintiffs, by and through their attorney of record, Scott Kayla Morrison, and moves this Court for an extention of five (5) days to respond to Motion to Dismiss filed by Defendant USA, and respectfully shows the Court:
That additional counsel have been added to represent Plaintiffs, and additional counsel will be preparing the response brief.
That there are no objections from the U.S. Attorney's Office for the Northern District to this extention.
Wherefore, Plaintiffs move the Court to extend the time to respond to Motion to Dismiss to July 21, 1997.
Respectfully submitted,

_________________________
SCOTT KAYLA MORRISON, OBA #017323
Attorney for Plaintiffs
103 _ West Main
Post Office Box 637
Wilburton, OK 74578
(918) 465-5033

CERTIFICATE OF MAILING

On the ____ day of July, 1997, I certify that I placed in the U.S. Mail, first class postage pre-paid a true and correct of the above and foregoing Plaintiffs' Motion for Extension of Time to Respond to Defendant USA's Motion to Dismiss to the following:

Peter Bernhardt Eric Janzen
Assistant U.S. Attorney W.G. "Gil" Steidley, Jr.
333 W. Fourth Street, Ste. 3460 Steidley & Neal
Tulsa, OK 74103 P.O. Box 1165
McAlester, Oklahoma 74502

Alison Cave
Steidley & Neal
PO Box 1165
McAlester, OK 74502

_________________________________
Scott K. Morrison