Whether the Supreme Court should grant an extension of time to file a petition for a writ of certiorari based on counsel's professional obligations and need for adequate case preparation
for this Court’s consideration. In addition, undersigned counsel has multiple professional obligations in state and federal courts during the same period, which preclude the preparation of a petition by October 7, 2025. The additional time requested will enable counsel to adequately review the record, research the federal questions presented, and prepare a petition that will meaningfully assist this Court in evaluating whether to grant certiorari. 3. Relief Requested. For the foregoing reasons, Petitioner respectfully requests that the time to file a petition for a writ of certiorari be extended by 60 days, up to and including December 6, 2025. Respectfully submitted, ALLEN S. KAUFMAN Attorney the Petitioner 950 S. PINE ISLAND RD PLANTATION, FL 33324 Telephone (954) 727-8165 FLORIDA BAR # 301639 Dated: September 24, 2025 CERTIFICATE OF SERVICE I certify that on this September 24, 2025, I caused a copy of this Application for Extension of Time to be served by electronic service, as appropriate under Rule 29 upon: Elizabeth B. Prelogar Solicitor General of the United States Department of Justice 950 Pennsylvania Avenue, N.W. Washington, D.C. 20530-0001 Tel: (202) 514-2217 s/Allen S. Kaufman Allen S. Kaufman