HomeMy WebLinkAbout2021CV30426 - City Of Fort Collins V. Aaron Million, Jordan Fox-Million; Million Agricultural Investments, Ltd., Arlo Richardson Aka Arlo Lee Richardson; The Pleasant Valley And Lake Canal Ditch Company - 018A - Proposed Order 1 of 3
District Court, Larimer County, Colorado
201 LaPorte Avenue, Suite 100
Fort Collins, Colorado 80521
(970) 494-3500
▲ COURT USE ONLY ▲
Plaintiff: CITY OF FORT COLLINS, a Colorado
home rule municipality,
v.
Defendants: AARON MILLION aka AARON P.
MILLION; JORDAN FOX-MILLION;
MILLION AGRICULTURAL
INVESTMENTS, LTD., a Colorado
limited partnership; ARLO
RICHARDSON aka ARLO LEE
RICHARDSON; THE PLEASANT
VALLEY AND LAKE CANAL DITCH
COMPANY; and ALL UNKNOWN
PERSONS WHO CLAIM AN
INTEREST IN THE SUBJECT
MATTER OF THIS ACTION.
Attorneys for Defendants Aaron Million aka Aaron P.
Million, Jordan Fox-Million, Million Agricultural
Investments, Ltd., a Colorado limited partnership, and
Arlo Richardson aka Arlo Lee Richardson
Crystal J. McDonough, #44621
Scott Slawson, #46001
McDonough Law LLC
1635 Foxtrail Drive
Loveland, CO 80538
Phone: 970-776-3311
Fax: 877-800-5583
crystal@mcdonoughlawllc.com
scott@mcdonoughlawllc.com
Case No.: 2021CV030426
Div.: 5B Ctrm.:
ORDER GRANTING UNOPPOSED MOTION FOR THIRD AND FINAL EXTENSION
OF TIME TO RESPOND TO COMPLAINT
THE COURT, having reviewed Defendants Aaron Million aka Aaron P. Million, Jordan
Fox-Million, Million Agricultural Investments, Ltd., a Colorado limited partnership, and Arlo
Richardson aka Arlo Lee Richardson’s Unopposed Motion for Third and Final Extension of Time
to Respond to Complaint (the “Motion”), finding that good cause exists, noting that the Motion is
unopposed, and being otherwise fully advised, HEREBY GRANTS the Motion.
DATE FILED: September 7, 2021 3:43 PM
FILING ID: 60630D56B7F42
CASE NUMBER: 2021CV30426
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THE COURT HEREBY ORDERS that Defendants Aaron Million aka Aaron P. Million,
Jordan Fox-Million, Million Agricultural Investments, Ltd., a Colorado limited partnership, and
Arlo Richardson aka Arlo Lee Richardson shall have through and including October 1, 2021, to
respond to Plaintiff’s Complaint.
DATED this ________ day of September 2021.
__________________________________________
DISTRICT COURT JUDGE
3 of 3
CERTIFICATE OF SERVICE
The undersigned hereby certifies that on the _______ day of September 2021, a true and
correct copy of the foregoing ORDER GRANTING UNOPPOSED MOTION FOR THIRD
AND FINAL EXTENSION OF TIME TO RESPOND TO COMPLAINT was served upon the
following parties of record in the manner selected:
Peter J. Dauster ____ Colorado Courts E-File System
Daniel M. St. John II ____ USPS First Class Mail
Johnson Muffly & Dauster, PC ____ Electronic Mail (E-Mailed)
323 South College Avenue, Suite 1 ____ Faxed to: _________________
Fort Collins, CO 80524 ____ In-Person
pdauster@nocolawgroup.com
dstjohn@nocolawgroup.com
Alden V. Hill ____ Colorado Courts E-File System
Hill and Hill, LLC ____ USPS First-Class Mail
The Pleasant Valley and Lake Canal Ditch Company ____ Electronic Mail (E-Mailed)
160 W. Mountain Avenue ____ Faxed to: _________________
Fort Collins, CO 80522 ____ In-Person
aldenhill@webaccess.net
Ingrid E. Decker ____ Colorado Courts E-File System
Fort Collins City Attorney’s Office ____ USPS First-Class Mail
300 W. LaPorte Avenue ____ Electronic Mail (E-Mailed)
Fort Collins, CO 80521 ____ Faxed to: _________________
idecker@fcgov.com ____ In-Person
DISTRICT COURT CLERK