HomeMy WebLinkAbout2020CV30580 - City Of Fort Collins V. Board Of County Commissioners Of Larimer County, Colorado And Streetmediagroup, Llc - 016 - Street Media's Response To Motion For ExtensionDISTRICT COURT, COUNTY OF LARIMER,
STATE OF COLORADO
Larimer County Justice Center
201 Laporte Avenue, Suite 100
Fort Collins, CO 80521-2762
Telephone: (970) 498-6100
▲ COURT USE ONLY ▲
Plaintiff: THE CITY OF FORT COLLINS,
COLORADO, a municipal corporation,
v.
Defendants: BOARD OF COUNTY
COMMISSIONERS OF LARIMER COUNTY,
COLORADO; STREETMEDIAGROUP, LLC
Attorneys for Defendant, StreetMediaGroup, LLC:
Todd G. Messenger, Reg. No. 38783
Andrew J. Helm, Reg. No. 47548
FAIRFIELD AND WOODS, P.C.
1801 California Street, Suite 2600
Denver, CO 80202
Telephone: (303) 830-2400
Facsimile: (303) 830-1033
E-Mail: tmessenger@fwlaw.com; ahelm@fwlaw.com
Case Number: 2020CV030580
Division: 4B
DEFENDANT STREETMEDIAGROUP, LLC’S RESPONSE TO MOTION FOR
EXTENSION OF TIME TO RESPOND TO MOTION TO DISMISS
Defendant StreetMediaGroup, LLC (“StreetMedia”), through its undersigned counsel,
Fairfield and Woods, P.C., and pursuant to C.R.C.P. 12(b)(1), hereby submits this Response to
Plaintiff City of Fort Collins, Colorado’s (“Fort Collins”) Partially Unopposed Motion for
Extension of Time to Respond to Motion to Dismiss and states as follows:
1. StreetMedia is sensitive to the press of business described by counsel for Fort
Collins. As such, and as described in Fort Collins’ Motion, StreetMedia does not oppose an
extension of seven days in which to respond to the Motion to Dismiss, as this should be more than
sufficient time for Fort Collins’ counsel to rearrange necessary workloads or enlist the help of one
of the two other attorneys that entered their appearances in this matter.
DATE FILED: October 12, 2020 9:26 PM
FILING ID: 7AF6D06FF61E9
CASE NUMBER: 2020CV30580
-2-
2. StreetMedia respectfully submits that an extension of ten days would lengthen the
original time for response to StreetMedia’s motion under C.R.C.P. 121 § 1-15 by approximately
50 percent. While such an extension of time may be granted (and agreed to among the parties
without issue as a professional courtesy) in a typical case, this case is not typical.
3. The central questions raised in the Motion to Dismiss are neither complicated nor
novel: does Fort Collins have standing to bring its Complaint, and, if so, was that Complaint
timely? Colorado appellate courts have thoroughly considered the issues of standing and timeliness
for a C.R.C.P. 106 action. Indeed, these threshold jurisdictional inquiries are part of the legal due
diligence that is expected of Colorado attorneys before they file a complaint.
4. Fort Collins’ Complaint also challenges the free speech rights of StreetMedia, a
private party. See Mahaney v. Englewood, 226 P.3d 1214, 1219 (Colo. App. 2009) (“Signs
constitute speech protected by the First Amendment.”). By its nature, this case has a chilling effect
on StreetMedia’s free speech rights. Consequently, timely briefing on the Motion to Dismiss is
important to the prompt judicial review that the context requires. See id., Freedman v. Maryland,
380 U.S. 51, 59 (with regard to restraints on free speech, “the procedure must also assure a prompt
final judicial decision . . . .”).
5. StreetMedia respectfully submits that where the government attacks private free
speech rights, the courts should frown upon requests for extension of time that are for the
convenience of the government and at the expense of the party whose free speech rights are at
issue. See Southeastern Promotions, Ltd. v. Conrad, 420 U.S. 546, 560 (1975) (“a prompt final
judicial determination must be assured.”); cf. Sign Here Petitions, LLC v. Chavez, 403 P.3d 457,
460 (Az. Ct. App. 2017) (“the . . . court must act as a gatekeeper protecting the right to free speech
from meritless litigation to avoid a chilling effect on free expression.”)
-3-
6. The effect of a seven-day extension is that the Motion to Dismiss will be fully
briefed and in front of this Court for determination no later than October 27, 2020. The ten-day
extension requested by Fort Collins would set that date at October 30, 2020, with the final reply
brief realistically not reaching the Court until the following Monday, November 2, 2020.
7. With the current briefing schedule set by this Court, Fort Collins’ opening brief is
due November 27, 2020.
8. As such, even with a seven-day extension, the Court will have just one month to
review the briefing and issue a decision on the pending Motion to Dismiss before the defending
parties must begin the preparation of their responsive briefs.
9. The drafting of responsive briefs in a Rule 106 case takes considerable time and
financial resources that StreetMedia should not be called upon to expend if (as StreetMedia has
alleged in its motion, with citations to controlling authority) Fort Collins is not a proper party or
its Rule 106 Complaint was untimely.
10. Prompt briefing that allows for a prompt decision on the Motion to Dismiss is
therefore critical to avoid this prejudice.
WHEREFORE, StreetMediaGroup, LLC respectfully requests that this Court deny Fort
Collins’ request for an additional ten days in which to respond to the Motion to Dismiss, instead
grant an extension of seven days or less, and issue any other relief the Court deems just and
proper.
-4-
DATED this 12th day of October, 2020.
FAIRFIELD AND WOODS, P.C.
/s/ Andrew J. Helm
Todd G. Messenger, Reg. No. 38783
Andrew J. Helm, Reg. No. 47548
1801 California Street, Suite 2600
Denver, CO 80202
Telephone: (303) 830-2400
Facsimile: (303) 830-1033
E-Mail: tmessenger@fwlaw.com; ahelm@fwlaw.com
Attorneys for Defendant StreetMediaGroup, LLC
-5-
CERTIFICATE OF SERVICE
I hereby certify that on this 12th day of October, 2020, I filed the foregoing with the
Clerk of the Court using Colorado Courts E-Filing. I further certify that a copy of the foregoing
was sent via Colorado Courts E-Filing to the following:
Andrew D. Ringel, Esq.
Hall & Evans, LLC
1001 Seventeenth St., Suite 300
Denver, CO 80202
John R. Duval
Claire Havelda
City Attorney’s Office
300 Laporte Ave.
P.O. Box 500
Fort Collins, CO 80522
Jeannine S. Haag
William G. Ressue
Frank N. Haug
Larimer County Attorney’s Office
224 Canyon Ave., Suite 200
P.O. Box 1606
Fort Collins, CO 80522
/s/ Andrew J. Helm
Andrew J. Helm