Jeffrey S. Jackson

P.O. Box 3174

Liverpool, NY 13089

(315) 454-2626

jeffreysjackson1987@gmail.com

 

Appellant in pro per

 

 

UNITED STATES COURT OF APPEALS

FOR THE SECOND CIRCUIT

 

JEFFREY S. JACKSON,

Appellant,

vs.

U.S. DISTRICT COURT FOR THE NORTHERN DISTRICT OF NEW YORK,

Appellee.

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Docket No.:

 

 

APPELLANT’S MOTION FOR EXTENSION OF TIME

 

NOW COMES Jeffrey S. Jackson, Appellant, and files this Motion for Extension of Time, and for cause would show this Honorable Court as follows:

  1. Appellant filed a complaint against the Onondaga County Sheriff’s Department at the New York State Supreme Court. It was filed under case no. SU-2020-5022 and was later removed to federal court.
  2. The above complaint was dismissed. Appellant will be appealing before this Court.
  3. Appellant seeks an extension of ______ days so he can be allowed to prosecute this current appeal.

REASONS WHEREFORE, PREMISES CONSIDERED, Appellant respectfully requests this Honorable Court to GRANT this Motion for Extension of Time and subsequently enter an order extending Appellant’s time for appeal by _______ days.

 

 

Dated this ____ day of December, 2022.

 

 

 

Respectfully Submitted,

 

 

 

___________________________________

Jeffrey S. Jackson,

Appellant in pro per

 

 

DECLARATION OF JEFFREY S. JACKSON IN SUPPORT OF MOTION FOR EXTENSION OF TIME

I, Jeffrey S. Jackson, do hereby declare as follows:

  1. I am a law-abiding male adult citizen of sound mind, competent to make this Declaration.
  2. I am the Appellant in this case.
  3. I have two appeals pending before this Court.
  4. The first one is this current appeal, and the other one is a civil rights appeal against the decision issued in favor of the Onondaga County Sheriff’s Department.
  5. At the moment, I am not able to hire a licensed attorney to help me with the workload of prosecuting both appeals.
  6. I believe I have a strong case in this appeal, and I would like to pursue it till the end.
  7. However, I will not be able to focus on both appeals.
  8. I am not an attorney licensed to practice law before this court, or even an attorney for that matter.
  9. As a pro per litigant, I have very limited knowledge of the law and procedure.
  10. I need more time to prosecute this appeal.
  11. I respectfully request this Court to GRANT my Motion for Extension of Time.

I hereby declare under penalty of perjury that the foregoing is true to the best of my knowledge, except those things stated under information and belief, and as to those things, I believe them to be true.

 

Dated this ____ day of December, 2022.

 

 

 

Respectfully Submitted,

 

 

 

___________________________________

Jeffrey S. Jackson,

Appellant in pro per