No. 23A306

Jenny Schieber, et al. v. United States

Lower Court: District of Columbia
Docketed: 2023-10-06
Status: Presumed Complete
Type: A
Experienced Counsel
Tags: None
Latest Conference: N/A
Question Presented (AI Summary)

Question not identified.

Question Presented (OCR Extract)

No question identified. : Harriet Tamen Stephen T. Rodd Law Offices of Harriet Tamen Abbey Spanier, LLP Of Counsel Of Counsel 420 East 72nd St. 212 East 39th Street New York, NY 10021 New York, NY 10016 (917) 5438-7270 (212) 889-3700; (917) 399-3108 Email: htamen@tamenlaw.com Email: Strodd47@gmail.com Counsel for Petitioners APPLICATION FOR AN EXTENSION OF TIME Pursuant to Rule 13.5 of the Rules of this Court, Petitioners Jenny Schieber, Solange Faktor, Esther Gutrejman, Louis Schneider, and Simon Bywalski hereby request a 30-day extension of time within which to file a petition for a writ of certiorari up to and including Wednesday, November 15, 2023. JUDGMENT FOR WHICH REVIEW IS SOUGHT The judgment for which review is sought Schieber v. United States, 77 F.4th 806 (D.C. Cir. 2028). (attached as Exhibit 1). JURISDICTION This Court will have jurisdiction over any timely filed petition for certiorari in this case pursuant to 28 U.S.C. §1254(1). Under Rules 13.1, 13.3, and 30.1 of the Rules of this Court, a petition for a writ of certiorari was due to be filed on or before October 16, 2023. In accordance with Rule 13.5, this application is being filed more than 10 days in advance of the filing date for the petition for a writ of certiorari. REASONS JUSTIFYING AN EXTENSION OF TIME 1. Counsel for petitioners are orthodox Jews and, as such, they strictly observe the high holiday season between September 14, 2023 until October 7, 2023 (Rosh HaShana [Jewish New Year], Yom Kippur; and Sukkot [Feast of Tabernacles]). 2. This schedule prevents counsel from devoting sufficient amount of time necessary to conduct adequate research and to prepare a petition that will be of maximum assistance to the Court. 3. Accordingly, counsel requests a 30-day extension to November 15, 2023. Date: September 21, 2023. Respectfully submitted, Ware Gell L. Marc Zell Noam Schreiber ZELL & ASSOCIATES ZELL, ARON & Co. INTERNATIONAL ADVOCATES, LLC of Counsel Counsel of Record 34 Ben Yehuda St. 1345 Ave. of the Americas 15 Floor 2nd Floor Jerusalem, Israel 9423001 New York, NY 10105 011-972-2-633-6300 (212)-971-1349 Email: Email: mzell@fandz.com Harriet Tamen Stephen T. Rodd Law Offices of Harriet Tamen Abbey Spanier, LLP Of Counsel Of Counsel 420 East 72nd St. 212 East 39th Street New York, NY 10021 New York, NY 10016 (917) 5438-7270 (212) 889-3700; (917) 399-3108 Email: htamen@tamenlaw.com Email: Strodd47@gmail.com Counsel for Petitioners CERTIFICATE OF SERVICE I, Marc Zell, certify that I have this day served the foregoing Motion for Extension of Time to file Petition for Writ of Certiorari by first-class mail, postage prepaid, addressed to the Solicitor General of the United States, Room 5616, Department of Justice, 950 Pennsylvania Ave., N. W., Washington, D.C., 20530-0001. Date: September 21, 2023. Ware Zl L. Marc Zell ZELL & ASSOCIATES INTERNATIONAL ADVOCATES, LLC Counsel of Record 1345 Ave. of the Americas 2nd Floor New York, NY 10105 (212)-971-1349 Email: mzell@fandz.com

Docket Entries

2023-10-10
Application (23A306) granted by The Chief Justice extending the time to file until November 15, 2023.
2023-10-04
Application (23A306) to extend the time to file a petition for a writ of certiorari from October 16, 2023 to November 15, 2023, submitted to The Chief Justice.

Attorneys

Jenny Schieber , et al.
L. Marc ZellZell & Associates International Advocates, LLC, Petitioner
L. Marc ZellZell & Associates International Advocates, LLC, Petitioner
United States
Elizabeth B. PrelogarSolicitor General, Respondent
Elizabeth B. PrelogarSolicitor General, Respondent