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HomeMy WebLinkAbout2019-cv-901 - Surat v. City of Fort Collins, et al. - 109 - Unopposed Motion For Extention Of Time To Respond To Defendant's Motion To Dismiss Complaint 1 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 19-cv-00901-NRN MICHAELLA LYNN SURAT, Plaintiff, v. RANDALL KLAMSER, in his individual capacity, and CITY OF FORT COLLINS, a municipality, Defendants. ____________________________________________________________________________________ UNOPPOSED MOTION FOR EXTENSION OF TIME TO RESPOND TO DEFENDANTS’ MOTION TO DISMISS FIRST AMENDED COMPLAINT [DOC. #108] ____________________________________________________________________________________ Plaintiff, by and through their undersigned counsel of record, hereby moves for an extension of time to respond to Defendants Motion to Dismiss First Amended Complaint [Doc. #108], and state as follows: CONFERRAL STATEMENT PURSUANT TO D.C. Colo. L. Civ. R. 7.1 Undersigned Counsel for Plaintiffs certify that he conferred with Mark Ratner, counsel for Defendants, who indicated that Defendants do not oppose the relief requested herein. CERTIFICATION PURSUANT TO D.C. Colo. L. Civ. R. 6.1(c) Counsel for Plaintiff certifies that this motion will be served contemporaneously on his client upon the filing of this motion. 1. On September 14, 2020, Defendants filed a motion to dismiss Plaintiffs’ First Amended Complaint. [Doc. #108]. 2. Plaintiffs’ response to this motion is due on or before October 5, 2020. Case 1:19-cv-00901-WJM-NRN Document 109 Filed 10/02/20 USDC Colorado Page 1 of 4 2 3. Plaintiffs respectfully request a three-week extension of time, up to and including October 26, 2020, to respond to the motion to dismiss. 4. Good cause exists to grant this extension of time. 5. In addition to the normal press of business, lead counsel for Plaintiff, David A. Lane has conducted numerous depositions recently which has taken a significant amount of his time to prepare for and take. Mr. Lane took a deposition in Bush v. Liberty Global, Inc., Case No. 19-cv-03495-DDD-KLM on September 14; in Partridge v. Joe Pelle, et al., Case No. 17-cv- 02941-CMA-STV Mr. Lane took two depositions on September 16 and September 29 and will be taking a deposition in Colbruno v. Kessler., 17-cv-01072-DDD-NRN on October 6, 2020. 6. In addition to the normal press of business, counsel for Plaintiff, Andy McNulty who will be primarily responsible for drafting the Response, drafted and filed a response to a motion to dismiss in Moses v. Lamb, et al., 1:20-cv-01603-MEH on September 22, 2020, conducted a 30(b)(6) deposition, which required extensive preparation, in Surat v. Klamser on September 24, 2020, and drafted an opening brief, assisted with the administrative work that accompanies filing such a brief, that was filed in the Ninth Circuit Court of Appeals yesterday in AACJ, et al. v. Brnovich, et al., 20-16293, and has been litigating multiple class action lawsuits that seek immediate relief for dangers presented by the Coronavirus to inmates, including Carranza, et al. v. Reams, 20-cv-00977 and Winston v. Polis, et al., 2020CV031823. 7. In addition to the usual press of business, counsel for Plaintiff, Helen Oh, who will be primarily responsible for drafting the Response, drafted and filed a complaint in Loma v. City and County of Denver, et al., 1:20-cv-02827-STV on September 17, 2020, reviewed hundreds of police reports and assisted in drafting an amended complaint soon to be filed in a class action lawsuit Minter v. City of Aurora, et al., No. 20-cv-02172-RM-NYW, collected Case 1:19-cv-00901-WJM-NRN Document 109 Filed 10/02/20 USDC Colorado Page 2 of 4 3 witness statements in Minter, and prepared a pretrial order with extensive discovery in Christensen v. Southwest Colorado Mental Health Center, Inc., et al., 18-cv-02962-WJM-SKC to be filed today. WHEREFORE, Plaintiff respectfully requests that this Honorable Court grant his motion for extension of time and provide that Plaintiff will have up to, and including, October 26, 2020 to respond to Defendants Motion To Dismiss First Amended Complaint [Doc. #108], and for such other and further relief as the Court deems just and proper. Respectfully submitted this 2nd day of October 2020. KILLMER, LANE & NEWMAN, LLP s/ Andrew McNulty _______ David Lane Andrew McNulty Helen Oh 1543 Champa Street, Suite 400 Denver, Colorado 80202 Phone: (303) 571-1000 Facsimile: (303) 571-1001 dlane@kln-law.com amcnulty@kln-law.com hoh@kln-law.com Counsel for Plaintiff Case 1:19-cv-00901-WJM-NRN Document 109 Filed 10/02/20 USDC Colorado Page 3 of 4 4 CERTIFICATE OF SERVICE I certify that on this 2nd day of October 2020 I filed a true and correct copy of the foregoing UNOPPOSED MOTION FOR EXTENSION OF TIME TO RESPOND TO DEFENDANTS’ MOTION TO DISMISS FIRST AMENDED COMPLAINT [DOC. #108] via CM/ECF which will serve the following via E-Mail: Mark Ratner Christina Gunn Hall & Evans, LLC 1001 Seventeenth Street, Ste 300 Denver, CO 80202 303-628-3492 ratnerm@hallevans.com gunnc@hallevans.com Counsel for Defendants s/ Jamie Akard Jamie Akard Case 1:19-cv-00901-WJM-NRN Document 109 Filed 10/02/20 USDC Colorado Page 4 of 4