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CAPE plaintiffs of this request for additional time. Furthermore, Defendants' counsel left a <br />telephone message for Ms. Illian of the pro se plaintiffs advising her of this motion. <br />6. Defendants request an enlargement of time through December 27, 1998 in <br />which to file their briefs in response to the opening briefs of the CFPE and pro se plaintiffs. <br />Defendants anticipate that they can consolidate all three answer briefs into one primary brief <br />at that time. <br />7. In addition to working on the answer brief in this matter, counsel for <br />Defendants also assisted in preparing ,a substantive motion to dismiss in a matter before the <br />State Personnel Board; provided extensive advice and review regarding procedures recently <br />adopted by the Executive Director of the Department of Personnel; and assisted another <br />agency regarding a labor dispute involving a public employer. <br />WHEREFORE, Defendants request up to and including December 28, 1998 in <br />which to file an answer brief in this matter. <br />GALE A. NORTON <br />Attorney General <br />RICHARD A. WESTFALL <br />Solicitor General <br />PAUL FARLEY <br />Deputy Attorney General <br />DAVID M. KAYE <br />First Assistant Attorney General <br />Services Section <br />Attorneys for Defendants <br />2 <br />