Upload
chrisabray
View
218
Download
0
Embed Size (px)
Citation preview
8/2/2019 How About September
1/3
UNITED STATES COURT OF APPEALS
FOR THE FIRST CIRCUIT
___________________________________________________________________________No. 12-1236
IN RE: REQUEST FROM THE UNITEDKINGDOM
PURSUANT TO THE TREATYBETWEEN THE GOVERNMENTOF THE
UNITED STATES OFAMERICA AND THE GOVERNMENT OF THE
UNITEDKINGDOM ONMUTUALASSISTANCE IN CRIMINAL
MATTERS IN THEMATTEROFDOLOURS PRICE,
UNITED STATES,
Petitioner Appellee
v.
TRUSTEES OF BOSTONCOLLEGE, ET AL.,
Movants - Appellants__________________________________________________________________
MOTIONOF BOSTON COLLEGE FORTEN-DAY ENLARGEMENT OFTIME TOFILE ITS OPENING BRIEF AND APPENDIX__________________________________________________________________
Pursuant to Fed. R. App. P. 26(B), Appellants Trustees of Boston College
and two of its representatives, Robert K. ONeill, the Librarian of the John J. Burns
Library at Boston College, and Boston College University Professor Thomas E.
Hachey (collectively, Boston College), move for a ten-day enlargement of time
to file their opening brief and appendix, and cite as reasons therefor the following:
1. The opening brief and appendix of Boston College as appellant are
presently scheduled to be filed by April 23, 2012.
Case: 12-1236 Document: 00116358890 Page: 1 Date Filed: 04/06/2012 Entry ID: 5631782
8/2/2019 How About September
2/3
- 2 -
2. In-house counsel for Boston College reviewing and contributing to the
brief has a previously long-scheduled vacation commitment out of the Boston area
from April 13 to April 22, 2012.
3. The issues involved in this appeal are complex, and involve
addressing issues in a public as well as a sealed record, which require additional
time to present Boston Colleges arguments to this court in a succinct manner.
4. Boston College has not sought or been granted any previous
enlargement of time for its opening brief and appendix.
5. The Government has authorized Boston College to advise the Court
that the Government assents to this motion, and does so with the hope that briefing
in this case will proceed expeditiously and that the case will be ready for argument
by this Courts September sitting
For the reasons stated in this motion, Boston College moves that this Court
enlarge the time by which to file its opening brief as appellant and appendix by ten
days, from April 23 to May 3, 2012.
By their attorney,
/s/ Jeffrey Swope
Jeffrey Swope (BBO# 490760)
EDWARDS WILDMAN PALMER LLP
111 Huntington Avenue
Boston, Massachusetts 02199-7613
(617) 239-0100
Dated: April 6, 2012
Case: 12-1236 Document: 00116358890 Page: 2 Date Filed: 04/06/2012 Entry ID: 5631782
8/2/2019 How About September
3/3
- 3 -
CERTIFICATE OF SERVICE
I hereby certify that this document filed through the CM/ECF
system will be sent electronically to the registered participants asidentified on the Notice of Electronic Filing (NEF) on April 6,
2012.
/s/ Jeffrey Swope
Case: 12-1236 Document: 00116358890 Page: 3 Date Filed: 04/06/2012 Entry ID: 5631782