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Case 1:02-cv-01993-WYD-BNB Document 125 Filed 02/17/2006 Page 1 of 3

IN THE UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF COLORADO

Civil Action No. 02-cv-01993-WYD-BNB

JEFFREY BEEBE,

v.

Plaintiff,

PEGGY HEIL,

SALLY CHAPMAN,

MITCH MESTAS, and

JOSEPH ORTIZ,

Defendants.

UNOPPOSED MOTION FOR CONTINUANCE OF PRETRIAL CONFERENCE

Defendants, through the Colorado Attorney General’s Office, hereby move for a

continuance of the pretrial conference. As grounds in support of this motion, Defendants

state as follows:

1. The court has set a pretrial conference for this case at 8:30 a.m. on March 17, 2006.

2. Defense counsel has a conflict in that he will be traveling out of the state from March

15, 2006 to March 27, 2006. Therefore, defendants seek a continuance of the pretrial

conference to any date after March 27, 2006.


Case 1:02-cv-01993-WYD-BNB Document 125 Filed 02/17/2006 Page 2 of 3

3. Pursuant to D.C.COLO.LR 7.1, the undersigned counsel conferred with Plaintiff's

Counsel regarding this Motion. Plaintiffs' counsel does not object to the relief

requested herein.

Wherefore, Defendants request a short continuance of the pretrial conference to any date

after March 27, 2006.

Respectfully submitted this 17th day of February, 2006.

JOHN W. SUTHERS

Attorney General

/s Joseph P. Sanchez

__________________________

JOSEPH P. SANCHEZ

Assistant Attorney General

Civil Litigation and Employment Law Section

Attorneys for the State of Colorado, and CDOC

1525 Sherman Street, 5th Floor

Denver, Colorado 80203

D.C. Box No. 20

Telephone: (303) 866-4308

FAX: (303) 866-5443

2


Case 1:02-cv-01993-WYD-BNB Document 125 Filed 02/17/2006 Page 3 of 3

CERTIFICATE OF SERVICE

I certify that on February 17, 2006, I electronically filed the foregoing with the Clerk

of Court using the CM/ECF system, which will send notification of such filing to the

following e-mail addresses:

John B. Roesler, Esq.

jroesler@lawyer.com

Kirsten L. Wander, Esq.

wanderlaw@aol.com

I further certify that I have duly served the within UNOPPOSED MOTION FOR

CONTINUANCE upon all parties herein by depositing copies of same in the United

States mail, postage prepaid, at Denver, Colorado, this 17 th day of February, 2006 addressed

as follows:

John B. Roesler, Esq.

303 E. Seventeenth Ave., Suite 200

Denver, CO 80203

Kirsten L. Wander, Esq.

191 University Blvd., Suite 254

Denver, CO 80206

Courtesy Copy:

Cathie Holst

Legal Services Supervisor

Colorado Dept. of Corrections

2862 South Circle Drive, Suite 400

Colorado Springs, CO 80906

S/ Kristen White

3

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