Motion-Extension- unemployment
- Date
- 2024-12-30
Summary
A pro se motion for extension to amend the complaint, filed December 30, 2024 as Document 5 in Joshua Abrams v. Division of Unemployment Insurance, Case No. 1:24-cv-03390-RMR, in the U.S. District Court for the District of Colorado. Addressed to Judge Gurley, the one-page letter-motion from plaintiff Joshua Abrams thanks the court for approving the plaintiff's fee waiver and for its clarifications on the Eleventh Amendment and Ex parte Young. It states that the plaintiff is unable to complete the research and revisions within the 30-day period allotted. The motion requests an extension of 2 to 4 weeks to identify the proper parties and file an amended complaint.
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Full text
Case No. 1:24-cv-03390-RMR Document 5 filed 12/30/24 USDC Colorado pg 1
of 1
1
U.S. District Court - District of Colorado
901 19th St, Denver, CO 80294 FILED
Plaintiff(s)/Petitioner(s): JOSHUA ABRAMS UNITED STATES DISTRICT COURT
v. DENVER, COLORADO
Defendant(s)/Respondent(s): 2:47 pm, Dec 30, 2024
JEFFREY P. COLWELL, CLERK
Division of Unemployment Insurance
▲COURT USE ONLY▲
Attorney or Party Without Attorney (Name and Address): Case Number:
Joshua Abrams, Pro Se | abramslive@gmail.com | 609-968-9360 1:24-cv-03390-RTG
10722 N Parfet Street Westminster Co 80021 Division: Courtroom:
Plaintiff’s Motion for Extension to Amend Complaint
Dear Judge Gurley,
I would first like to express my gratitude to the Court for approving my fee waiver and for providing the opportunity to
amend my complaint. I also appreciate the Court's clarifications regarding the Eleventh Amendment and the Ex parte
Young carveouts, which have been invaluable in guiding me toward the appropriate legal framework.
However, due to overwhelming pressures in my personal life, I find myself currently overburdened and unable to fully
complete the necessary research and revisions to the complaint within the 30-day period allotted. Identifying the proper
parties and refining the legal arguments within the context of Ex parte Young requires additional time to ensure compliance
with the Court’s guidance.
Accordingly, I respectfully request a brief extension of 2 to 4 weeks to allow me to complete these tasks thoroughly. This
extension would greatly assist me in presenting a more precise and legally sufficient amended complaint.
Thank you for your understanding and consideration.
Date: 12-30-2024 ____________________________________________
❑Petitioner/Plaintiff
Joshua Abrams, Pro Se | abramslive@gmail.com | 609-968-9360
10722 N Parfet Street Westminster Co 80021
File and source
- File
- gov.uscourts.cod.239393.5.0.pdf
- Size
- 101,990 bytes
- SHA-256
- 3e77c3de21951ce8fc06f828f6da1e0fb5123389d0ee96e8442400a60dd56d98
- Our copy
- gov.uscourts.cod.239393.5.0.pdf
- Original
- PACER (login required)