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4 . Plaintiff Trustees reside out of State and thus, additional <br /> time is required by Plaintiffs' Counsel in order to adequately <br /> present argument in opposition to Defendants' Motion. <br /> 5. 1n light of the recent Joinder of State Defendants in <br /> non-State Defendants Motion Plaintiff would like additional time <br /> to respond to all Defendant parties ' Motions and arguements. <br /> WHEREFORE, Plaintiffs respectfully request an extension of <br /> time until Monday, June 4, 1979 in which to file a Memorandum <br /> Brief in opposition •to Defendant ' s Motion to Dismiss or in <br /> the Alternative For Summary Judgment. <br /> Respectfully submitted , <br /> LAMM & SCHADER <br /> By <br /> William P. Goldstein No. 9304 <br /> 831 Pearl Street <br /> Boulder, Colorado 80302 <br /> (303) 447-2601 <br /> Attorneys for <br /> The Eagle River 1978 Trust, <br /> Chester M. Goldman, Trustee <br /> and Olive Mc Collum Goldman, <br /> Trustee. <br /> CERTIFICATE OF MAILING <br /> I hereby certify that a true and correct copy of the <br /> foregoing Plaintiffs' Motion for Extension of Time In Which <br /> To File Memorandum Brief was placed in the United States <br /> mail, postage prepaid, this 21st day of May, 1979, <br /> addressed to: <br /> Michael S. McCarthy, Esquire <br /> 700 Denver Club Building <br /> 518 Seventeenth Street <br /> Denver , Colorado 80202 <br /> William R. James , Esquire <br /> Assistant Attorney General <br /> Natural Resources Section <br /> 1525 Sherman Street, 3d Floor <br /> Denver, Colorado 80203 <br />