|This document is available in two formats: this web page (for browsing content) and PDF (comparable to original document formatting). To view the PDF you will need Acrobat Reader, which may be downloaded from the Adobe site. For an official signed copy, please contact the Antitrust Documents Group.|
UNITED STATES DISTRICT COURT
PLAINTIFF'S MOTION FOR ENTRY OF ITS
Pursuant to Fed. R. Civ. P. 7(b) and D. Del. LR 7.1.1, Plaintiff, the United States, respectfully requests that the Court, pursuant to Fed. R. Civ. P. 16(b), enter the attached Plaintiff's Proposed Discovery Scheduling Order for the reasons stated in Plaintiff's accompanying brief. In support of this motion, Plaintiff states that, as the accompanying brief shows, it has made a reasonable effort to reach agreement with Defendant's attorneys on the subject of this motion.
Dated: October 30, 1998
COUNSEL FOR PLAINTIFF
RICHARD G. ANDREWS