Case 4:09-cv-001 06-CDL Document 25 Filed 10/02/09 Page 1 of 4 Orly Taitz, Esq Attorney & Counselor at Law 29839 S. Margarita Pkwy Rancho Santa Margarita CA ph. 949-683-5411 fax 949-766-7603 California Bar ID No. 223433 Pro hac vice Middle District of GA UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF GEORGIA COLUMBUS DIVISION 120 12th Street P.O. Box 124 Columbus, Georgia 31902 CAPTAIN CONNIE RHODES, M.D. F.S.,§ Plaintiff, § § v. § § COLONEL THOMAS D. MACDONALD, § GARRISON COMMANDER, FORT § BENNING, GEORGIA, § GEORGE STEUBER, DEPUTY § COMMANDER, FORT BENNING, § DR. ROBERT M. GATES, UNITED § STATES SECRETARY OF DEFENSE, § BARACK HUSSEIN OBAMA, de facto § PRESIDENT of the UNITED STATES, § Defendants. § Civil Action No:09-io6 MOTION FOR ENLARGEMENT OF TIME UNTIL OCTOBER 16, 2009, TO RESPOND TO THE ORDER TO SHOW CAUSE FILED BY JUDGE CLAY D. LAND on September 18, 2009. MOTION FOR ENLARGEMENT OF TIME TO RESPOND TO COURT’S SEPTEMBER 18, 2009, ORDER TO SHOW CAUSE Comes now the undersigned Orly Taitz, respondent to this Court’s Order to Show Cause entered in whole or in part pursuant to Rule 11(c)(3) of the Federal Rules of Civil Procedure, with this Motion for Enlargement of Time to Respond this Court’s September 18, 2009 Order to Show Cause. As of even date with this Motion, to wit on October 2, 2009, the undersigned counsel, appearing and acting now in propia persona, Motion for Enlargment of Time to Respond to the Order to Show Cause entered by the Honorable Clay D. Land, on September 18, 2009 1 Case 4:09-cv-00106-CDL Document 25 Filed 10/02/09 Page 2 of 4 has filed her Motion to Recuse the Honorable Clay D. Land. The undersigned Respondent accordingly moves and requests that this Court grant her an enlargement of time to Respond to said OSC until the later of the following two dates: either Friday October 16, 2009, or one week after this Court’s resolution of her Motion to Recuse filed on this day. The preparation of the response to this Order to Show Cause is in large part dependent upon whether the chief complaining witness, Judge Clay D. Land himself, will also serve as prosecuting attorney, judge, and jury of his complaint to impose a penalty for the undersigned attorney’s alleged misconduct in the amount of $10,000.00. Furthermore, the Court’s emphasis on counsel’s “political agenda” and his pejorative characterization of that agenda without reference to most of the issues raised in the papers actually filed with this Court raise certain constitutional issues of defense which this undersigned respondent, acting in propia persona cannot reasonably research and brief by the close of business on October 2, 2009, the current due date for the filing and submission of the Response to this Court’s Order to Show Cause. WHEREFORE, Orly Taitz prays for an enlargement of time until October 16, 2009, or one week (seven days) after the disposition of her Motion to Recuse the Honorable Clay D. Land pursuant to 28 U.S.C. §§144 and 455(a). Respectfully submitted, Friday, October 2, 2009 /s/ Orly Taitz, Esq. By: Dr. Orly Taitz, Esq., Attorney-at-Law in propia persona Motion for Enlargment of Time to Respond to the Order to Show 2 Cause entered by the Honorable Clay D. Land, on September 18, 2009 Case 4:09-cv-00106-CDL Document 25 Filed 10/02/09 Page 3 of 4 Law Offices of Orly Taitz, Esq., Suite too 29839 Santa Margarita Parkway Rancho Santa Margarita, California Telephone: 949-683-5411 Facsimile 949-766-7603 (California SBN 223433) E-Mail: dr taitz@vahoo.com CERTIFICATE OF SERVICE The above-and-foregoing Motion for Enlargement of Time to Respond to the Order to Show Cause entered by the Honorable Clay D. Land on September 18, 2009, was served by facsimile on Friday, October 2, 2009, on the following parties: Colonel Thomas D. MacDonald Garrison Commander, Fort Benning, Georgia Hugh Randolph Aderhold , Jr. PO Box 1702 Macon , GA 31202-1702 478-621-2728 Email: Randy .Aderhold@usdoi .gov Col. Louis B. Wingate U. S. Army Human Resources Command-St. Louis 1 Reserve Way, St. Louis, MO 63132 . Dr. Robert M. Gates, Secretary of Defense, by and through the Pentagon: 1000 Defense Pentagon Washington, DC 20301-1000 Sheetul S. Wall U.S. Attorney’s Office, Fax 706-649-7667 P.O. Box 2568 Columbus, Georgia 31902-2568 MAJOR REBECCA E. AUSPRUNG Department of the Army U.S. Army Litigation Division 901 North Stuart Street, Suite 400 Arlington, VA 22203-1837 Tele: 703-696-1614 Email : Rebecca. Ausprung@us . army.mil Motion for Enlargment of Time to Respond to the Order to Show 3 Cause entered by the Honorable Clay D. Land, on September 18, 2009 Case 4:09-cv-001 06-CDL Document 25 Filed 1 0/02/09 Page 4 of 4 President Barack Hussein Obama, At The White House 1600 Pennsylvania Avenue Washington, D.C. 20500 by and through the Attorney General of the United States, Eric Holder, at U.S. Department of Justice 950 Pennsylvania Avenue, NW Washington, DC 20530-0001 and Maxwell Wood, United States Attorney for the Middle District of Georgia, at U.S. Attorney's Office Gateway Plaza 300 Mulberry Street, 4th Floor Macon, Georgia 31201 Tel: (478) 752-3511 And also at: Columbus Division 1246 First Avenue SunTrust Building, 3rd Floor Columbus, Georgia 31901 Tel: (706) 649-7700. A. Brian Albritton United States Attorney for the Middle District of Florida 400 N. Tampa Street, Suite 3200 Tampa, Florida 33602 Phone: (813) 274-6000 Fax : (813) 274-6358 /s/ Orly Taitz, Esq. Attorney Orly Taitz, Esquire, former attorney For the Plaintiff Captain Connie Rhodes, M.D. F.S. Motion for Enlargment of Time to Respond to the Order to Show 4 Cause entered by the Honorable Clay D. Land, on September 18, 2009