HomeMy WebLinkAbout2019-cv-901 - Surat v. City of Fort Collins, et al. - 126 - Unopposed Motion For Extension Of Time To File Consolidated Response
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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 FILE CONSOLIDATED
RESPONSE TO DEFENDANTS’ MOTION TO DISMISS AND MOTION FOR
SUMAMRY JUDGMENT [DOCS. 108 & 118]
____________________________________________________________________________________
Plaintiff, by and through their undersigned counsel of record, hereby moves for an
unopposed extension of time to submit her consolidated response to Defendants’ motion to
dismiss and motion for summary judgment [Docs. 108 & 118], and state as follows:
CONFERRAL STATEMENT PURSUANT TO D.C. Colo. L. Civ. R. 7.1
Counsel for Plaintiff certifies that they 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 their
client, Michaella Surat, upon the filing of this motion.
1. On September 14, 2020, Defendants filed a motion to dismiss Plaintiff’s First
Amended Complaint. [Doc. #108].
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2. On October 7, 2020, this Court granted Plaintiff’s unopposed motion for
extension of time to respond to Defendants’ motion to dismiss, providing a new deadline of
October 26, 2020. [Doc. 116].
3. On October 3, 2020, Defendants filed a motion for summary judgment. [Doc.
118].
4. On October 19, 2020, Plaintiff filed an unopposed motion for leave to file a
consolidated response to Defendants’ motion to dismiss and motion for summary judgment,
[Docs. 108 & 118], and a motion for extension.
5. On October 21, 2020, the Court granted Plaintiff’s motion to file a consolidated
response to Defendants’ motion to dismiss and motion for summary judgment to be due on
November 24, 2020. [Doc. 124].
6. On October 22, 2020, the parties filed a joint motion to stay pretrial order
deadlines until after a ruling on the pending dispositive motions [Doc. 122], which the Court
granted on October 24, 2020. [Doc. 125]. Within three days of a ruling on the motions, the
parties are to jointly contact chambers to reset the Final Pretrial Conference.
7. Plaintiff respectfully requests a six (6) day extension of time, up to and including
November 30, 2020, to file a consolidated response to Defendants’ motions.
8. Good cause exists to grant this extension of time.
9. In addition to the normal press of business, counsel for Plaintiff, David A. Lane
drafted a Court of Appeals Reply Brief in In Re K.S.E., et al., Case No. 2019CA1948 which was
filed November 2, 2020, has conducted three depositions in Campen v. Geo Group, et al, Civil
Action Number 19-cv-01933-MEH which took a significant amount of time to prepare for and
take, two depositions were on November 5, 2020 and another on November 9, 2020; prepared for
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a discovery conference in J.H. v. GEO Group, et al., Case No. 20-629 on November 19, 2020;
and argued in the Tenth Circuit Court of Appeals on November 19, 2020 in Stroup and Lee v.
United Airlines, Appeal No. 19-1373, Civ. Action No. 15-cv-01389-DDD-STV which required a
significant amount of preparation.
10. In addition to the usual press of business, counsel for Plaintiff, Helen Oh, who
will be primarily responsible for drafting the Consolidated Response, spent a substantial amount
of time to prepare the materials for, and attend five depositions in Campen v. Geo Group, et al,
Civil Action Number 19-cv-01933-MEH, two on November 5, 2020, another on November 9,
2020, and two on November 11, 2020; researched and drafted a discovery statement and
participated in a discovery hearing in Colbruno v. Kessler, 17-cv-01072-DDD-NRN on
November 12, 2020; argued in the Tenth Circuit Court of Appeals on November 18, 2020 in
Harris v. Mahr, Appeal No. 20-1002, Civ. Action No. 1:19-cv-00572 which required significant
preparation; and is preparing a mediation statement in Camacho v. Vestas (pre-litigation) due
November 25, 2020.
11. In addition to the normal press of business, counsel for Plaintiff, Andy McNulty,
has been involved in a number of pressing matters related to the COVID-19 pandemic seeking
emergency injunctive relief (and, therefore, immediate briefing and litigation),including: filing a
preliminary injunction (and associated briefing) in a case aimed at protecting Denver’s homeless
population from COVID-19 infection, Denver Homeless Out Loud, et al. v. Denver, et al., 1:20-
cv-02985-WJM-SKC; negotiating a consent decree to protect Colorado’s prison population from
COVID-19 infection, Winston, et al. v. Polis, et al., 2020CV031823; and negotiating a consent
decree to protect those confined in the Weld County Jail from COVID-19 infection, Carranza, et
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al. v. Reams, 1:20-cv-00977-PAB-SKC. These time-sensitive, life-and-death matters have
resulted in Mr. McNulty needing additional time to work on this consolidated response.
12. WHEREFORE, Plaintiff respectfully requests that this Honorable Court grant her
request for a six (6) day extension of time to file her consolidated response to Defendants’
motion to dismiss and motion for summary judgment, up to and including November 30, 2020,
and for such other and further relief as the Court deems just and proper.
Respectfully submitted this November 24, 2020.
KILLMER, LANE & NEWMAN, LLP
s/ Helen Oh _______
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
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CERTIFICATE OF SERVICE
I certify that pursuant to Section II.D.2.b. of Hon. William J. Martinez’s Practice Standards a
true and correct copy of the above and foregoing was contemporaneously served via email on
Plaintiff Michaella Surat.
s/ Jamie Akard
Jamie Akard
I certify that pursuant to Section II.D.2.b. of Hon. William J. Martinez’s Practice Standards a
true and correct copy of the above and foregoing was contemporaneously served via email on
Defendants Fort Collins and Randall Klamser.
s/ Jamie Akard
Jamie Akard
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