Motion to Extend Time in Which to Answer Certain Interrogatories

Public Court Documents
December 31, 1975

Motion to Extend Time in Which to Answer Certain Interrogatories preview

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  • Case Files, Bolden v. Mobile Hardbacks and Appendices. Motion to Extend Time in Which to Answer Certain Interrogatories, 1975. 26d41eac-cdcd-ef11-b8e8-7c1e520b5bae. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/a253ad88-2d9b-4252-81a3-3c4684e43de6/motion-to-extend-time-in-which-to-answer-certain-interrogatories. Accessed July 31, 2025.

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    IN THE UNITED STATES DISTRICT COURT FOR THE 

SOUTHERN DISTRICT OF ALABAMA 

SOUTHERN DIVISION 

WILEY L. BOLDEN, et al., 

Plaintiffs, 

CIVIL ACTION 
ys. 

NO. 75-297-P 
CITY OF MOBILE, et al., 

N
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No
 

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Defendants. 

MOTION TO EXTEND TIME IN WHICH TO 
ANSWER CERTAIN INTERROGATORIES 
  

Plaintiffs move the Court for an extension of itn 

within which to answer those interrogatories which the Court 

by its order dated December 12, 1975 overruled plaintiffs’ 

objections thereto and ordered the same to be answered. As 

grounds for this motion plaintiffs would show the Court 

that plaintiffs are presently attempting to answer in an 

accurate and meaningful manner the voluminous and complex 

interrogatories, and that this process entails consulting 

at length with plaintiffs' counsel of record who resides 

in Birmingham, Alabama and with each of the named plaintiffs. 

WHEREFORE, Plaintiffs pray that the Court grant them 

an extension of time in which to answer the said interroga- 

tories up to and including January 8, 1976. 

Respectfully submitted this 31st day of December, 1975. 

CRAWFORD & BLACKSHER 
1407 DAVIS AVENUE 
MOBILE, ALABAMA 36603 

    

        LA of : 
: & 87 3 a \ 4 By: ANY 

J. U. BIZACKSHER 
  

GREGORY B/ STEIN 

 



  

EDWARD STILL, ESQUIRE 
SUITE 601 - TITLE BUILDING 
2030 THIRD AVENUE, NORTH 
BIRMINGHAM, ALABAMA 35203 

JACK GREENBERG, ESQUIRE 
JAMES NABRITT, ESQUIRE 
CHARLES WILLIAMS, III., ESQUIRE 
SUITE 2030 
10 COLUMBUS CIRCLE 
NEW YORK, N. Y. 10019 

Attorneys for Plaintiffs 

  

CERTIFICATE OF SERVICE 

I do hereby certify that on this the 31st day of December, 

1975, I served a copy of the foregoing MOTION TO EXTEND 

TIME IN WHICH TO ANSWER CERTAIN INTERROGATORIES upon counsel 

of record, Charles A. Arendall, Esquire, David Bagwell, Esquire 

Post Office Box 123, Mobile,AL 36601, S. R. Sheppard, Esquire, 

Legal Department, City of Mobile, Mobile, AL 36602, by 

depositing same in United States Mail, postage prepaid. 

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