HomeMy WebLinkAbout2021-cv-2306-RM-KLM - Perry V. State Of Colorado, Et Al - 048 - Reply In Support Of Motion To StrikeIN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLORADO
Civil Action No. 1:21-CV-02306-RM-KLM
ROBERT LAWRENCE PERRY,
Plaintiff,
v.
THE STATE OF COLORADO,
THE CITY OF FORT COLLINS,
CSU BOARD OF GOVERNORS FOR CSU,
COLORADO STATE UNIVERSITY and
STEVEN VASCONSELLOS, Judicial Administrator;
Defendant.
DEFENDANT THE CITY OF FORT COLLINS’ REPLY IN SUPPORT OF MOTION TO
STRIKE PLAINTIFF’S MOTION FOR LEAVE TO AMEND (ECF 39)
Mark S. Ratner, Esq. and Katherine N. Hoffman, Esq., of the law firm Hall & Evans, LLC,
on behalf of Defendant, the City of Fort Collins (“City”), submit the following as their Reply in
Support of Motion to Strike Plaintiff’s Motion for Leave to Amend (ECF 39).
I. ARGUMENT
In his response, Plaintiff cites to Fed. R. Civ. P. 15, and argues the City has either
“erroneously or intentionally misapprehended” the Rule, as no redundant, immaterial, impertinent,
or scandalous material has been identified in the Motion to Strike (ECF 45, at 4) (“Motion”).
Plaintiff misunderstands the basis for the City’s Motion, as it is not brought pursuant to Fed. R
Civ. P. 15. Rather, the City requests Plaintiff’s Motion for Leave to Amend be stricken on two
grounds.
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First, Plaintiff’s request should be stricken because he failed to comply with
D.C.COLO.LCivR 15.1(b). His proposed amended complaint fails to identify material which is
either stricken or added from the operative complaint, and he makes no effort to correct this error
in his response. Furthermore, Plaintiff persists in his failure to identify which paragraphs were
moved or rearranged. As argued in the City’s Motion, coupled with the fact the proposed
complaint has ballooned by adding an additional 11-pages (an additional 25-pages from the initial
Complaint), and 60-paragraphs (an additional 255-paragraphs from the initial Complaint), without
any indication as to what was changed, added, or deleted, it is extremely difficult to address
Plaintiff’s request for leave to amend or any reasons proffered for the proposed amendments.
Second, Plaintiff fails to comply with the brevity requirement of Fed. R. Civ. P. 8(a)(2),
and his response fails to address any pertinent basis or argument explaining away the notion his
proposed amended pleading is replete with repetitive, rambling, and incoherent allegations.
Lastly, Plaintiff argues he will be prejudiced if his request is denied, However, he fails to
provide any indication as to how he would be prejudiced.
II. CONCLUSION
WHEREFORE, the City of Fort Collins respectfully requests the Court grants its Motion,
strike Plaintiff’s Motion for Leave (ECF 39), and for entry of any other relief deemed just.
Respectfully submitted this 1st day of April, 2022.
s/Mark S. Ratner
Mark S. Ratner, Esq.
Katherine N. Hoffman, Esq.
Hall & Evans, L.L.C.
1001 17th Street, Suite 300
Denver, CO 80202
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Phone: 303-628-3300
Fax: 303-628-3368
ratnerm@hallevans.com
hoffmank@hallevans.com
ATTORNEYS FOR DEFENDANT
THE CITY OF FORT COLLINS
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CERTIFICATE OF SERVICE (CM/ECF)
I hereby certify that on the 1st day of April 2022, a true and correct copy of the foregoing
was filed with the Court via CM/ECF and served on all parties of record, as well as the below-
listed party by email:
Robert Lawrence Perry
fort_scout@yahoo.com
Pro se Plaintiff
Allison R. Ailer, #33008
Ralph L. Carr Colorado Judicial Center
1300 Broadway, 10th Floor
Denver, CO 80203
Attorneys for The State of Colorado;
Board of Governors of the CSU System,
acting and on behalf of CSU; Colorado State University;
and Steven Vasconcellos
Skip Spear, #32061
Ralph L. Carr Colorado Judicial Center
1300 Broadway, 10th Floor
Denver, CO 80203
Attorneys for The State of Colorado;
Board of Governors of the CSU System,
acting and on behalf of CSU; and Colorado State University
s/ Sarah M. Stefanick, Legal Assistant to
Mark S. Ratner, Esq.
Katherine N. Hoffman, Esq.
Hall & Evans, L.L.C.
1001 17th Street, Suite 300
Denver, CO 80202
Phone: 303-628-3300
Fax: 303-628-3368
ratnerm@hallevans.com
hoffmank@hallevans.com
ATTORNEYS FOR DEFENDANT
THE CITY OF FORT COLLINS
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