Question not identified.
No question identified. : APPLICATION AND MOTION FOR EXTENSION OF TIME TO FILE BRIEF TO PETETION FOR WRIT OF CERTIORARI Pettioner, Shaheryar Khan, the Pettioner in the above-referenced matter, pursuant to Supreme Court Rule 30.3 submits this Application for Motion for Extension of Time to File Brief to Petiton For Writ of Certiorari to the Clerk for the Purpose of respectfully requesting Justice Keegan to grant a sixty day( 60 )day extension of time to file petitioners Brief to Petiton For Writ of Certiorari up to and including September 22nd 2023. In further support , Petitioner would respectfully show as follows. 1.) The Petitoner and Appellant recieved an Order affirming the lower courts order from the Ninth Circuit Court of appeals on 5/9/2023 during his recovery and illness ( exhibit). 2.) Pettioner Then Filed a Motion to Recall the Mandate on or abount 5/30/23 prior to the mandate being issued and the expiration of the 21 day period as indicated in the order. The Clerks office incorrectly filed this motion on the incorrect date or on about 6/02/2023 3 days after the reciept through the EDS submission system . This motion is currently Pending in the Ninth Circuit court of Appeals. There have ben multiple errros in multiple clerks offices at this point which is "alarming" and indicates that my civil liberties are being taken away at the court level in different courts due to these errors or a more sinister attck on my case outcome. 3.) Petitioner was diagnosed with Covid 19 on or about 4/13/23 when he was struck with the disease and was severly ill prior to the case being dismissed and had suffered an extended period of illnesss from the contraction of the Covid 19 disease from pnemonia 2 syptoms and illness ( exhibit). 4.) Petitioner after contracting the Covid 19 Disease on 4/13/2023 ( exhibit) and suffering extended Covid 19 symptoms (exhibit) in this period was found to also have Cancer on or about 5/21/2023 ( exhibit) and is currently recieving medical treatment and unergoing medical plan with bius physician for his conditions. 5.) Petitoner has been victem of the Apple VS NSO and Q Technology scandal and victem of hacking ( exhibit) and this case reflects the oppresive attacks by these companies . 6.) Petitoner filed this Motion for an extension of time on or about 7/30/2023 and timely prior to 8/07/2023 within the time frame required and in advance of the deadline to file file Petitoners Brief to Petiton For Writ of Certiorari which is 90 Days or on or about August 7th 2023 Deadline. 7.) Pursuant to Supreme Clerk Court Rule 30.3 , the releif herein requested " may be presented in the form of a application by setting out specific resons why an extension of time is justified. Petitoner May request that the motion be submitted to a justice or to the Court to be granted, 8.). This is the Petitoners first request for an extension of time to file it petition. 9.) Pursuant to Supreme Court Rule 30.3 , the Court has the authority to grant the additional time requested herein. 8.. Petitoner requests and extension of time to file is petition based on the following specific reasons pusuant to Rule 30.3 a. Petitioner has been ill with Cancer , ( Exhibit) b. Petitioner requires this time to determine the outcome of the pending motion in the 9th circuit Court of appeals filed on 5/30/23 ( exhibit) c. Petitioner requires this time to consult with Attorneys . ( exhibit) Based on the foregoing , the Petitoner respectfully request a sixty (60) day extension of time to file the requested responsive brief up to and including October 7th 2023 Dated : July 30th, 2023 x Li. (tw Respectfully Sent by, SHAHERYAR KHAN 2219 OLIVE STREET BURBANK CA 91506 SHAHERYAR KHAN, PETITIONER