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DEFENDANT.
Defendant SIGG Switzerland (USA), Inc. ("SIGG"), by counsel and pursuant to Federal
Rule of Civil Procedure 6(b), hereby moves the Court for an extension of time to answer or
otherwise respond to Plaintiffs' complaint. The answer date is currently September 24, 2009,
and SIGG requests that this Court grant it an extension, up to and including October 19, 2009, to
file its answer or otherwise respond. In support of its motion, SIGG states as follows:
1. SIGG's Answer to Plaintiffs' Complaint is due on or before September 24, 2009 and said
2. That said extension of time shall be through and including October 19, 2009.
3. That said extension of time is necessary because counsel was recently retained, and
counsel requires sufficient time to investigate the allegations and analyze the purported
claims.
4. This Motion is made in good faith, and not in an attempt to hinder or delay the cause of
action.
WHEREFORE, SIGG prays that this Court grant its motion for an extension of time,
until October 19, 2009, to file its Answer or otherwise respond to Plaintiffs' Complaint, and for
Respectfully submitted,
s/Amber D. Nicely
Clark C. Johnson
Oliver H. (Scott) Barber, III
Amber D. Nicely
STITES & HARBISON, PLLC
400 West Market Street
Suite 1800
Louisville, KY 40202-3352
Telephone: (502) 587-3400
CERTIFICATE OF SERVICE
The undersigned hereby certifies that on this 21 st day of September, 2009, a copy of the
foregoing Motion and proposed Order were filed with the Court's CM/ECF system, which will
serve electronic notice of filing upon counsel of record:
s/Amber D. Nicely
Amber D. Nicely
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