UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA

MARY HUDDLE, et al. 
            Plaintiffs,

        v.                      Civil Action No. 88-3130-JGH
                              
RONALD WILSON REAGAN, et al.            
            Defendants. 

FEDERAL DEFENDANTS' MOTION FOR ENLARGEMENT OF TIME

The federal defendants, by and through their undersigned counsel, hereby move pursuant to Fed. R. Civ. P. 6(b), for an enlargement of time of three days, to and including June 28, 1990, within which to file their opposition to plaintiff's latest Motion for a Preliminary Injunction. This short enlargement is necessary due primarily to the work schedule of the undersigned Assistant United States Attorney, Michael L. Martinez. Various matters assigned to AUSA Martinez have prevented him from completing the federal defendants, opposition for filing by today. This short enlargement will allow for completion of the federal defendants' opposition and will not harm plaintiff's position in this matter in any way.

Wherefore, we ask the Court to sign the attached proposed Order granting the requested enlargement of time.

Respectfully submitted,

/s/ Jay B. . Stephens
JAY B. STEPHENS, S. DC #177840
United States Attorney

June 25 1990

/s/ John D. Bates
JOHN D. BATES, DC #934927
Assistant United States Attorney

/s/
Michael L. Martinez
MICHAEL L. MARTINEZ, DC BAR #347310
Assistant United State A Attorney

CERTIFICATE OF SERVICE

I hereby certify that this 25th day of June, 1990, I sent one copy of the foregoing Motion for Enlargement of Time via first class U.S. mail to:

William Thomas
1440 N Street, N.W.
Apt. 410
Washington, D.C. 20038

Victor Long
Assistant Corporation Counsel
Third Floor District Building
1350 Pennsylvania Avenue, N.W.
Washington, D.C. 20004

/s/ Michael L. Martinez

MICHAEL L. MARTINEZ, DC BAR #347310
Assistant United States Attorney Room 4810,
Judiciary Center 555
Fourth Street, N.W.
Washington, D.C. 20001
(202) 514-7161

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