Maloney v. New England Compounding Pharmacy Inc et alMOTION for Extension of Time to File Answer re State Court ComplaintN.D. Ind.February 21, 2013 UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF INDIANA SOUTH BEND DIVISION CAROLYN MALONEY c/o DENNY MALONEY, Plaintiffs, v. NEW ENGLAND COMPOUNDING PHARMACY INC. aka NEW ENGLAND COMPOUNDING CENTER, et al. Defendants. ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) ) CASE NO. 3:12-cv-00842-PPS-CAN JUDGE: PHILIP P. SIMON UNOPPOSED MOTION FOR EXTENSION OF TIME TO RESPOND TO PLAINTIFF’S COMPLAINT Pursuant to L.R. 6.1., Defendant Ameridose, LLC (“Defendant”), by counsel, hereby move this Court for an extension of time to respond to Plaintiff’s Complaint, up; to and including March 25, 2013. Defendant’s Answer is currently due February 22, 2013. Plaintiff’s counsel has been consulted and has no objection to the requested extension WHEREFORE, Defendant, by counsel, pray for an Order allowing Defendant up to and including March 25, 2013 to respond to Plaintiff’s Complaint, and for all other relief just and proper in the premises. case 3:12-cv-00842-PPS-CAN document 23 filed 02/21/13 page 1 of 2 2 013260.000011/1629041.1 Respectfully submitted, s/ Knight S. Anderson Knight S. Anderson (17216-53) Tucker Ellis LLP 925 Euclid Avenue, Suite 1150 Cleveland, OH 44115-1414 Tel: 216.592.5000 Fax: 216.592.5009 E-mail: knight.anderson@tuckerellis.com Attorney for Defendant Ameridose LLC CERTIFICATE OF SERVICE This is to certify that a copy of the foregoing has been filed with the Clerk of the Court on February 21, 2013 using the ECF system that sent notification of this filing to all ECF- registered counsel of record via e-mail generated by the Court’s ECF system. /s/Knight S. Anderson Attorney for Defendant Ameridose, LLC case 3:12-cv-00842-PPS-CAN document 23 filed 02/21/13 page 2 of 2