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  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
  • BURTON,NANCY v. MASON,DAVID PHILIPM00 - Misc - Injunction document preview
						
                                

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(X06) UWY-CV-21-5028294-S NANCY BURTON SUPERIOR COURT JUDICIAL DISTRICT V. OF WATERBURY DAVID PHILIP MASON ETAL. APRIL12, 2023 PLAINTIFF'S MOTION FOR STAY Plaintiff moves that the Court impose a stay of these proceedings effective immediately through May 1, 2023. This motion is necessitated by two sets of circumstances, namely, Plaintiff's disabling loss of near-vision acuity with associated errors, eyestrain and severe headaches previously disclosed to the Court and the pressures accompanying preparation of appellant's (plaintiff herein) brief in the appeal to the Appellate Court in State of Connecticut ex rel. Jeremiah Dunn v. 65 Goats et al, AC 45710, due on April 27, 2023. With regard to the vision disability, the condition as previously disclosed to the Court has deteriorated significantly, leading to inter alia production of legal papers replete with errors as to substance and form; conducting legal research is agonizingly frustrating because of the need to apply new techniques to focus on small type. Asa further consequence of these circumstances, Plaintiff has committed errors large and small, many of significance which require identifying and correcting and which Plaintiff has not had sufficient time to date to identify fully and correct. Plaintiff has availed herself of time-consuming medical care and treatment as recently as April 11, 2023 but the condition evades improvement. Imposition of the limited stay as requested will provide significant relief to Plaintiff under these circumstances and advance justice without undue hardship or prejudice on the part of Defendants. THE PLAINTIFF Nancy Bu 14 Toss Highway Redding CT 06896 Tel. 203-313-1510 NancyBurtonCT@aol.com CERTIFICATION This is to certify that a copy of the foregoing was delivered electronically on this date to all counsel of record as below: Michael D. Riseberg, Esq. Christine N. Parise, Esq. Daniel B. Stanhill, Esq. Rubin and Rudman LLP 53 State Street, 15'" Floor Boston MA 02109 Tel. 617-330-7000 mriseberg@rubinrudman.com parise@ribinrudman.com dstanhill@rubinrudman.com Matthew Levine, Esq. Jonathan Harding, Esq. 231 Capitol Ave. Hartford CT 06106 Matthew. Levine@ct.go Jonathan.Harding@ct.gov James N. Tallberg, Esq. Kimberly A. Bosse, Esq. Karsten & Tallberg, LLC 500 Enterprise Drive Suite 4B Rocky Hill CT 006067 Tel. 860-233-5600 jtallberg@kt-lawfirm.com kbosse@kt-lawfirm.com Philip T. Newbury, Jr., Esq. Howd & Ludorf, LLC 65 Wethersfield Ave. Hartford CT 06114-1121 Tel. 860-249-1361 pnewbury@hl-law.com Steven Stafstrom, Esq. Alexander W. Ahrens, Esq. Pullman Comley, LLC Melick & Porter, LLP 850 Main Street 900 Main Street South Bridgeport T 06601 Southbury CT 06488 SStafstrom@pullcom.com aahrens@melicklaw.com 4Z 3