HomeMy WebLinkAbout20040109Motion for Extension.pdfJim Jones (ISB #1136)
JIM JONES & ASSOCIATES
1275 Shoreline Lane
Boise, Idaho 83702-6870
Telephone: Boise (208) 385-9200
Attorney for Petitioners/Appellants
RECEIVED 0FILED
2UDIt JAN - 9 Art 8: 49
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UTiLITIES COf'1f"HSSION
IN THE SUPREME COURT OF THE STATE OF IDAHO
IN THE MATTER OF THE JOINT
PETITION OF ROBERT RYDER, d/b/a
RADIO PAGING SERVICE, JOSEPH B. )
MCNEAL, d/b/a PAGEDATA AND
INTERP AGE OF IDAHO, AND
TEL-CAR, INc., FOR DECLARATORY)
ORDER AND RECOVERY OF
OVERCHARGES FROM U.S. WEST
COMMUNICATIONS INC.
ROBERT RYDER, d/b/a RADIO
PAGING SERVICE, et aI.
Petitioners/Appellants
vs.
IDAHO PUBLIC UTILITIES
COMMISSION
Respondent on Appeal
and
QWEST CORPORATION
Respondent-Respondent on
Appeal.
MOTION FOR EXTENSION -
Docket No. 29175
MOTION FOR EXTENSION
COMES NOW counsel for Petitioners/Appellants, Robert Ryder, d/b/a Radio Paging
Service, Joseph B. McNeal, d/b/a PageData and InterPage of Idaho, and Tel-Car, Inc., who
moves the Court for entry of an order, pursuant to JAR 34(e), extending the due date for the
brief of Petitioners/Appellants for a period of 40 days. Appellants' brief is due on January
, 2004. A 40-day extension would change the due date to March 1 , 2004. Grounds for
this motion are set forth in the accompanying Affidavit of Jim Jones.
DATED this 8th day of January, 2004.
I HEREBY CERTIFY that on this 8th day of January, 2004, I caused to be served a
true and correct copy of the foregoing MOTION OF EXTENSION by depositing the same in
the United States mail, postage prepaid, in an envelope addressed to the following:
WILLIAM 1. BATT
Marshall, Batt & Fisher
O. Box 1308
Boise, ID 83701
MOTION FOR EXTENSION - 2