HomeMy WebLinkAbout2020CV30363 - Stuward Cross And Katrina Richman V. City Of Fort Collins - 050 - Df's Resp Motion To BifurcateDISTRICT COURT, LARIMER COUNTY, COLORADO
Larimer County Justice Center
201 Laporte Avenue, Suite 100
Fort Collins, CO 80521-2761
(970) 498-6100
Plaintiffs: STUWARD CROSS AND KATRINA RICHMAN
v.
Defendant: THE CITY OF FORT COLLINS, State of
Colorado
COURT USE ONLY
Andrew W. Callahan, #52421 – acallahan@wicklaw.com
Julie M. Yates, #36393 – jyates@wicklaw.com
WICK & TRAUTWEIN, LLC
323 South College Avenue, Suite 3
Fort Collins, CO 80522
Phone & Fax Number: (970) 482-4011
John R. Duval, #10185 – jduval@fcgov.com
Adam Stephens, #55637 – adstephens@fcgov.com
Fort Collins City Attorney’s Office
P.O. Box 580
Fort Collins, CO 80524
(970) 221-6520
Case No.: 2020 CV 30363
Division: 3C
DEFENDANT’S RESPONSE TO PLAINTIFFS’ MOTION TO BIFURCATE CLAIMS
AND CONTINUE TRIAL FOR PLAINTIFF KATRINA RICHMAN ONLY
COMES NOW Defendant the City of Fort Collins, by and through counsel, and responds
to Plaintiffs’ Motion to Bifurcate Claims and Continue Trial for Plaintiff Katrina Richman Only
as follows:
Defendant objects to the bifurcation of trials in this matter but does not object to the
granting of a continuance of the entire case. Bifurcation of this case would be extremely
prejudicial in that it would essentially double the time and costs of the trial for all Parties.
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Rule 42(b) states three criteria for when a case may be bifurcated: (1) for convenience; (2)
to avoid prejudice, or (3) when separate trials will be conducive to expedition or economy. In this
case, none of these criteria support bifurcation.
First, two trials instead of one, where the witnesses are the same, will not be convenient.
All of the fact witnesses surrounding the automobile accident are identical. Both Plaintiffs will be
necessary parties in both cases, as they both were present for the accident and are therefore fact
witnesses in addition to being parties to the case. Liability in this case is contested, so their
testimony will be necessary. Moreover, Defendant and Plaintiffs have retained medical experts
to opine on the scope of injuries sustained by Plaintiffs in this accident. Defendant has retained
Dr. Lloyd Thurston to offer opinions as to both Plaintiffs’ injuries, and Plaintiff has retained Dr.
John Hughes to offer opinions on both Plaintiffs. If this case is bifurcated, the parties will incur
double expenses as both retained experts will be required to appear for separate trials to offer
opinions.
The Court can avoid any potential prejudice to Ms. Richman without the need for
bifurcation. Defendant does not oppose Plaintiffs’ counsel’s Motion to Withdraw on behalf of
Katrina Richman, and based on the allegations contained therein believes it would be difficult for
counsel to proceed on behalf of Ms. Richman. However, the appropriate remedy to avoid any
prejudice for Ms. Richman is not bifurcation of the trial, but simply a continuance of the entire
matter. This will allow Ms. Richman sufficient time to obtain new counsel and proceed with a
single trial.
Third, holding two trials rather than one clearly is not conducive to expedition or judicial
economy, for all the reasons stated above. Since this matter is within the Court’s discretion, and
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the Court has requested a status conference, Defendant does not feel it is necessary to belabor the
point.
In sum, Defendant believes that the most appropriate course of action is to continue the
entire case and deny Plaintiffs’ Motion for Bifurcation.
WHEREFORE, Defendant requests that the Court deny Plaintiffs’ Motion to Bifurcate and
grant Plaintiffs’ Motion to Continue the Trial as to both Plaintiffs.
Respectfully submitted this 25th day of October, 2021.
WICK & TRAUTWEIN, LLC
By: s/ Andrew W. Callahan
Andrew W. Callahan, #52421
Julie M. Yates, ##36393
Attorneys for Defendants
And
John R. Duval, #10185
Adam Stephens, #55637
Fort Collins City Attorney’s Office
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CERTIFICATE OF ELECTRONIC FILING
The undersigned hereby certifies that a true and correct copy of the foregoing
DEFENDANT’S RESPONSE TO PLAINTIFFS’ MOTION TO BIFURCATE CLAIMS AND
CONTINUE TRIAL FOR PLAINTIFF KATRINA RICHMAN ONLY was served via the
Colorado Courts E-Filing System this 25th day of October, 2021, on the following:
Laura Michelle Browne
Ashley Fridovich
Wilhite, Rose, McClure & Sawaya, P.C.
1600 N. Ogden Street
Denver, CO 80218
Adam Stephens
John Duval
FORT COLLINS CITY ATTORNEY’S OFFICE
P.O. Box 580
Fort Collins, CO 80522
s/Jody L. Minch