Zaiger Motion To Continue
Zaiger Motion To Continue
Zaiger Motion To Continue
JONATHAN MONSARRAT, )
)
Plaintiff, ) CIVIL ACTION NO.
) 1:17-cv-10356-PBS
v. )
) DEFENDANT’S ASSENTED-TO
BRIAN ZAIGER, ) MOTION FOR CONTINUANCE
)
Defendant. )
)
NOW COMES Defendant, Brian Zaiger, by and through undersigned
counsel, and pursuant to Local Rule 40.3, hereby moves for a one month
continuance of the hearing scheduled for May 18, 2018, as set forth in the April
10, 2018 Notice ( Dkt. No. 128).
There is good cause warranting a continuance. Defendant’s attorneys will
be moving to withdraw, and Defendant Zaiger will need time to find a new
attorney to represent him in this matter and, represented or pro se, prepare to
argue the eight motions presently scheduled for the hearing (Dkt. Nos. 90, 92, 93,
100, 102, 104, 109 & 112). Such complexity and the consideration of the needs of
this case represent good cause.
No prior continuances of this hearing have been sought.
As further grounds for the motion and pursuant to Local Civ. Rule 7.1(a)(2),
undersigned counsel hereby certify that they have conferred with Plaintiff’s
counsel of record on this motion and that Plaintiff’s counsel assented to relief
requested in this motion.
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Case 1:17-cv-10356-PBS Document 129 Filed 05/04/18 Page 2 of 2
CERTIFICATE OF SERVICE
I hereby certify that this document filed through the CM/ECF system will be
sent electronically to the registered participants as identified on the Notice of
Electronic Filing and paper copies will be sent to those indicated as non-
registered participants on May 4, 2018.
/s/ Marc J. Randazza
Marc J. Randazza
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