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`GEORGE DEMERS, JR.
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`vs.
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`DANIEL C. ROBERTS, ET AL
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`:
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`:
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`SUPERIOR COURT
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`J.D. OF NEW LONDON
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`AT NEW LONDON
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`DECEMBER 8,2017
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`MOTION FOR EXTENSION OF TIME
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`The plaintiff, GEORGE DEMERS, JR., respectfully requests that this Court grant
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`him an extension of time to January 10, 2018 within which to answer and/or object to
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`the defendants’ lnterrogatories and Requests for Production, dated October 10, 2017,
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`'
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`for the reason that the plaintiff is currently in the process of completing his responses
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`and requires additional time to properly comply with the defendants’ disclosure motion.
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`The undersigned represents that this action has not been assigned for trial.
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`THE PLAINTIFF,
`GEORGE DEMERS, JR.
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`By:
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`303631
`Michael D. Colonese, of
`Brown Jacobson RC.
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`22 Courthouse Square
`PO. Box 391
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`Norwich, Connecticut 06360
`Telephone:
`860—889-3321
`Facsimile:
`860-886-0673
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`Email:
`His Attorneys
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`mcolonese@brown'acobson.com
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`<>
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`CERTIFICATION
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`I hereby certify that a copy of the foregoing was mailed to all counsel and pro se parties of
`record on December 8, 2017 to:
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`James J. Noonan, Esquire
`Ryan Ryan Deluca LLP
`1000 Lafayette Blvd, Suite 800
`Bridgeport, Connecticut 06604
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`Timothy D. Ward, Esquire
`McGann, Bartlett & Brown, LLC
`111 Founders Plaza, Suite 1201
`East Hartford, Connecticut 06108
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`303631
`Michael D. Cofonese
`Commissioner ofthe Superior Court
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