Statement Concerning Deferred Appendix

UNITED STATES COURT OF APPEALS
DISTRICT OF COLUMBIA CIRCUIT

No.95-5338

September Term, 1995
USDC No. 95cv01018
William Thomas, et al., Appellants

v.

United States of America, et al., Appellees

STATEMENT CONCERNING DEFERRED APPENDIX

Appellant does not plan to request that the filing of the appendix be deferred, but hopes to file the appendix when his brief is filed

To the degree that the timeliness of Appellant's filing of the appendix may be dependant upon the cooperation of opposing counsel, Appellant intends, pursuant to F.R.A.P. 30(b), to contact opposing counsel as soon as it becomes clear which member of hte U.S. Attorney's Office will be litigating this case, for the purpose of agreeing on the contents of the appendix.

Appellant also notes a potentially problematic situation concerning acquisition of two of the transcripts which would be part of the appendix, which might affect preparation of the appendix. See, Motion for Transcripts, filed this date in Thomas v. United States, U.S. App. 95-5340.

Respectfully submitted this 30th day of October, 1995,

__________________________
William Thomas, Appellant, pro se
2817 11th Street NW
Washington, D.C. 20038
202-462-0757

CERTIFICATE OF SERVICE
On October 30, 1995, I caused a copy of the accompanying Statement Concerning Deferred Appendix to be served upon the office of the Assistant United States Attorney for the District of Columbia, Appellate Division, at 555 4th Street NW, Washington, D.C., by first class U.S. mail postage prepaid.