Motion and Order to Extend Discovery Deadline

Public Court Documents
December 10, 1982

Motion and Order to Extend Discovery Deadline preview

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  • Case Files, Major v. Treen Hardbacks. Motion and Order to Extend Discovery Deadline, 1982. 15e211f7-c703-ef11-a1fd-002248219001. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/58ae136f-3b50-4e38-93b1-75edb462e8b3/motion-and-order-to-extend-discovery-deadline. Accessed November 05, 2025.

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    JTTED STATES DISTRTCT COURT 

1 

EASTERN DISTRICT OF LOUISIANA Dec {0 

NEL SoH B. JOHES 

BARBARA MAJOR, et al. Civil Act ioh We: (fad 

Plaintiffs 
Section C 

-against- 
THREE JUDGE COURT CASE 
  

DAVID C. TREEN, etc., et al. CLASS ACTION 
  

MOTION AND ORDER TO 

EXTEND DISCOVERY DEADLINE 
  

  

On motion of the plaintiffs, it appearing that the discovery dead- 

line was previously set by this Court as December 17, 1982, it further appear- 

ing that certain depositions have not been conducted because of difficulties in 

scheduling, and it further appearing that trial of this matter will not be 

delayed by extension of the discovery deadline. 

It also appears that the defendants do not object to the extension 

discovery deadline. 

IT IS ORDERED that the discovery deadline previously set in this 

matter is extended to the 31st day of December, 1982. 

Dated: New Orleans, Louisiana, this) (day of December 1982. 

UNITED STATES DISTRICT JUDGE 
  

Respectfully submitted, 

. R. JAMES KELLOGG 

{| WILLIAM P. QUIGLEY 
i STEVEN SCHECKMAN | certify that a © of the foregoing pleading 

STANLEY HALPIN has boon Serva upon counsel for all parties 

631 St. Charles Avenue to this proceeding, by mailing the same to 

isi 
* first class Uni ate il, proper- 

New Orleans, Louisiana 70130 each by first class United States mail proper 

seed and postage prepaid on this 

Certificate Service 

Jack Greenberg 

James :M. Nabrit, III 

Napoleon B. Williams 

Lani Guinier 

NAACP Legal Defense Fund, Inc. 

10 Columbus Circle, Suite 2030 

New York, New York 10019 

BY: 4 Shmin (log 
Attorngy/ for Plaintiff // - "TE OF ENTRY

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