HomeMy WebLinkAbout2020CV30833 - City Of Fort Collins V. Planning Action To Transform Hughes Stadium Sustainably Corp, Et. Al - 007 - Motion For Expedited Consideration
DISTRICT COURT, COUNTY OF LARIMER,
COLORADO
Larimer County Justice Center
201 Laporte Avenue, Suite 100
Fort Collins, Colorado 80521-2762
(970) 498-6100
______________________________________________
Plaintiff: THE CITY OF FORT COLLINS, COLORADO,
a Colorado home rule city and municipal corporation,
v.
Defendants: PLANNING ACTION TO TRANSFORM
HUGHES STADIUM SUSTAINABLY CORP, a
Colorado nonprofit corporation; and ELENA M. LOPEZ,
MELISSA ROSAS, AND PAUL PATTERSON, each in
their official capacity as a petition representative of the
persons signing the petition for a citizen-initiated ordinance
relating to the City of Fort Collins rezoning and acquiring
certain real property
______________________________________________
Carrie M. Daggett #23316 - City Attorney
John R. Duval #10185 - Deputy City Attorney
Fort Collins City Attorney’s Office
300 Laporte Avenue
P.O. Box 500
Fort Collins, Colorado 80522
970-221-6520
cdaggett@fcgov.com , jduval@fcgov.com
Andrew D. Ringel #24762
Hall & Evans, L.L.C.
1001 17th Street, Suite 300
Denver, CO 80202
303-628-3300
Fax: 303-628-3368
ringela@hallevans.com
Attorneys for Plaintiff
▲COURT USE ONLY ▲
_________________________
Case Number: 2020CV_____
Division: ___
PLAINTIFF’S UNOPPOSED MOTION FOR EXPEDITED CONSIDERATION
with proposed Order
DATE FILED: December 7, 2020 3:14 PM
FILING ID: E57DFDC83C11A
CASE NUMBER: 2020CV30833
2
Plaintiff City of Fort Collins, Colorado, (the “City”) by and through its attorneys, Carrie
M. Daggett, Esq. City Attorney, and John R. Duval, Esq., Deputy City Attorney, of the Fort Collins
City Attorney’s Office, and Andrew D. Ringel, Esq., of Hall & Evans, L.L.C., pursuant to C.R.C.P.
57(m), respectfully submits this Unopposed Motion for Expedited Consideration, as follows:
1. Contemporaneously with the instant Motion, Plaintiff has filed a Complaint for
Declaratory Relief Pursuant to C.R.C.P. 57 and the Uniform Declaratory Judgments Law
(“Complaint”). The purpose of the Complaint is to seek a declaration from this Court pursuant to
C.R.C.P. 57 whether the Initiated Ordinance and Ballot Measure include administrative matters
that are not subject to a citizen initiative under Article V, Sections 1(2) and 1(9) of the Colorado
Constitution and Charter Article X, Section 1(a) and, more specifically, whether the provisions in
the Initiated Ordinance and Ballot Measure requiring the City to “use best efforts in good faith to
acquire the Hughes Stadium property” at “fair market value” to use “for parks, recreation and
open lands, natural areas, and wildlife rescue and education” and to do so using certain funding
sources and mechanisms, are administrative and not legislative matters and therefore not subject
to an initiated ordinance. [See Complaint, ¶ 15].
2. The next regular election of the City is on April 6, 2021. The City only has until
February 16, 2021, for any revisions to be made to the Initiated Ordinance and Ballot Measure for
those revisions to be made in time for presentation to the registered electors of the City at the April
6, 2021. [See Complaint, ¶ 61]. Accordingly, the City asks this Court to make its determination
about the issues raised in the Complaint prior to February 16, 2021.
3. Pursuant to C.R.C.P. 57(m), this Court possesses the authority to order a speedy
hearing and advance any such hearing on the Court’s calendar. See C.R.C.P. 57(m). “Under
3
C.R.C.P. 57(m), a court may order a speedy determination of an action for declaratory judgment
and may advance it on the calendar. When a matter is expedited, case management provisions and
rules governing discovery do not apply.” Keybank, Nat’l Assn. v. Mascarenas, 17 P.3d 209, 215
(Colo. App. 2000), overruled on other grounds by, West v. Roberts, 143 P.3d 1037, 1045 (Colo.
2006). “The primary purpose of the declaratory judgment procedure is to provide a speedy,
inexpensive, and readily accessible means of determining actual controversies which depend on
the validity or interpretation of some written instrument or law.” Toncray v. Dolan, 593 P.2d 956,
957 (Colo. 1979).
4. Here, due to the February 16, 2021, deadline for the City to make any changes to
the Initiated Ordinance and Ballot Measure, expedited consideration of this matter is necessary
and appropriate before this Court.
5. Accordingly, the City respectfully requests this Court to set an expedited status
conference by telephone or video to allow this Court to set appropriate procedures for
consideration of the Complaint on an expedited basis. The City believes this matter involves only
questions of law and can be determined by this Court on expedited briefs submitted by the parties.
However, the City also recognizes Defendants need to be heard on the issue of expedited
proceedings and this Court will need to make a determination after its own review of the Complaint
to determine how appropriately to proceed.
6. Pursuant to C.R.C.P. 121(1-15)(8), prior to filing the insant Motion, counsel for the
Plaintiff conferred with counsel for the Defendants, Michael Foote, Esq. Mr. Foote indicated the
Defendants do not object to this Motion.
4
WHEREFORE, for all of the foregoing reasons, Plaintiff City of Fort Collins, Colorado,
respectfully requests this Court exercise its authority pursuant to C.R.C.P. 57(m) for a speedy
consideration of this matter, set an expedited status conference by telephone or video to set
appropriate procedures for consideration of the Complaint on an expedited basis, and for all other
and further relief as this Court deems just and appropriate.
Dated this 7th day of December, 2020.
Respectfully submitted,
/s/John R. Duval .
John R. Duval #10185
Deputy City Attorney
Carrie Daggett #23316
City Attorney
City Attorney’s Office
300 Laporte Avenue
P.O. Box 500
Fort Collins, Colorado 80522
970-416-2488
Fax: 970-221-6327
jduval@fcgov.com
cdaggett@fcgov.com
and
Andrew D. Ringel #24762
Hall & Evans, L.L.C.
1001 17th Street, Suite 300
Denver, CO 80202
303-628-3300
Fax: 303-628-3368
ringela@hallevans.com
ATTORNEYS FOR PLAINTIFF
THE CITY OF FORT COLLINS
COLORADO