HomeMy WebLinkAbout2023-1112 - Perry V. State Of Colorado, Et Al. - 03 - Motion Extension File Opening Brief1
Mark Ratner, #38517 (CO) Allison R. Ailer, #33008 (CO)
Katherine Hoffman, #56067 (CO) Ralph L. Carr Judicial Center
HALL & EVANS, LLC 1300 Broadway, 10th Floor
1001 Seventeenth Street, Suite 300 Denver, CO 80203
Denver, Colorado 80202 (720) 508-6617
303-628-3300 Allison.ailer@coag.gov
ratnerm@hallevans.com
hoffmank@hallevans.com
IN THE TENTH CIRCUIT COURT OF APPEALS
ROBERT-LAWRENCE: PERRY,
Plaintiff-Appellant,
v.
Each 'STATE OF COLORADO'
Individual employee, executive
officer, and/or administrative official
acting personally, individually,
and/or in combination namely, Alita
King, Thomas Lynch, and Daniel
McDonald, and each 'doe'
administrator, agent, and/or
executive, and Steven
Vasconcellos, and 'doe' judicial
administrators;
AND,
The 'CITY OF FORT COLLINS', et.
al., including each Individual
administrative official, agent,
employee and or executive officer,
acting personally, individually, and
or together, including each
individual member of the city
council and Mayor, the City
Attorney, the City Manager,
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Darin Atteberry, Ross Cunniff,
Gerry Horak, Ray Martinez, Kristin
Stephens, Ken Summers, Wade
Troxell, including 'doe' agents,
administrators, executives, officers
and / or each 'doe' appointee
administrator, agent, police officer,
official, and 'City' employees,
namely, Brandi Lynn Neito, Dan
Callahan, Jill Hueser, and Ryan
Westlind;
AND,
CSU BOARD OF GOVERNORS,
for 'CSU', and each individual
member of the 'CSU Board of
Governors', for 'COLORADO
STATE UNIVERSITY' and each
'doe' and or named administrators,
agents, employees or officials
acting personally, individually, and
or together, namely, Scott Harris,
Jeff Goetz, Jesse Ihnen, Michael
Lohman, Phil Morris, Derek Smith,
Lynn Johnson, Mark Gill, and Nic
Olsen, and each heir appointee
and/or official; each Individual
Jointly and Severally Liable as Co-
Defendants.
Defendant-Appellee.
DEFENDANTS/APPELLEES’ JOINT OPPOSED MOTION FOR
EXTENSION OF TIME
TO FILE APPELLEES’ BRIEFS
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Defendant/Appellee City of Fort Collins (“City”), by and through its
attorneys, Hall & Evans, LLC, and Defendants/Appellees Steven Vasconcellos and
the CSU Board of Governors (“State Defendants”), by and through their attorneys,
Colorado Attorney General’s Office (collectively, “Appellees”), hereby jointly
move the Court pursuant to Fed. R. App. P. 26 and 27, and 10th Cir. R. 27 for an
extension of 30 days, or until July 31, 2023, to file Appellees’ briefs. As grounds
therefore, Appellees state:
1) Counsellors for Appellees conferred with Appellant on June 9, 2023
regarding the relief requested herein and learned that Appellant opposes this motion.
2) Appellant filed his opening brief on May 30, 2023.
3) Pursuant to Fed. R. App. 31, and the Minute Order issued by this Court on
May 30, 2023, Appellees’ briefs are due on June 29, 2023.
4) Undersigned counsellors now jointly request a brief thirty (30) day
extension of this deadline, until and including July 31, 2023.
5) As reason therefore, Appellees need more time to review, analyze, and
respond to the numerous issues raised in Appellant’s opening brief. Significantly,
Appellant’s opening brief is 47-pages long. Appellant appeals the Recommendation
of the U.S. Magistrate Judge and the District Court’s Order adopting this
Recommendation on over ten (10) grounds. [Appellant’s Opening Brief, pp. 8-9].
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Each of these grounds must be individually addressed by the Appellees in their
respective briefs.
6) Specifically, the Appellee City must address the constitutionality of its
trespass and camping ordinances under the Fourth Amendment, Fifth Amendment,
Eighth Amendment, Fourteenth Amendment Equal Protection Clause, and
Fourteenth Amendment Due Process Clause. Appellant mounted as-applied,
procedural, and substantive challenges to the City’s ordinances through his due
process claim. Additionally, the City must address Plaintiff’s 42 U.S.C. §§ 1985 and
1986 claims.
7) Undersigned counsel for the Appellee City has a number of preexisting
commitments in other cases, and, as a result, counsel is unable to complete the City’s
brief by June 29, 2023, even while exercising due diligence. Specifically,
undersigned counsel must draft and file an Answer to Plaintiff’s Amended
Complaint in Kilcullen v. Juniper Applewood, LLC et al., Jefferson County District
Court, Consolidated Case Nos. 22C1223 and 22CV216, which is due on June 14,
2023. Counsel must also prepare and take a deposition of plaintiff on June 21, 2023
in Townley et al. v. City of Fort Collins et al., District of Colorado, Civil Action No.
1:22-CV-01983-SKC. Additionally, counsel must prepare and attend a mediation in
a pending OSHA whistleblower investigation on June 23, 2023. Counsel must also
prepare and defend Fed. R. Civ. P. 30(b)(6) designees in three 30(b)(6) depositions
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to be conducted before an already extended discovery cut-off date of July 7, 2023 in
Mohamed v. SHRM, District of Colorado, Civil Action No. 1:22-cv-01625-GPG-
SKC.
8) The Appellees State Defendants have similar litigation demands. They are
preparing for multiple depositions in Ransaw v. State of Colorado, 1:20-cv-03584-
NYW, conducting client and witness interviews in Snedeker v. State of Colorado,
1:23-cv-00178-CNS-MEH, preparing a motion to dismiss in that case, as well as
preparing briefing in multiple other cases. Additionally, counsel for the State
Defendants will be on a long-planned vacation. Due to state employee security rules
related to technology, she is unable to take work with her. As a result, counsel is
unable to complete the State Defendant’s brief by June 29, 2023, even while
exercising due diligence.
9) This short extension of time will cause Appellant no prejudice.
10) This is the first extension of time Appellees have requested, and Appellees
requests only a brief extension of time—thirty (30) days.
Wherefore Defendant/Appellee City of Fort Collins and
Defendants/Appellees Steven Vasconcellos and the CSU Board of Governors jointly
request that the Court enter an order allowing them an extension of 30 days or until
July 31, 2023, to file the Appellees’ briefs.
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Respectfully Submitted,
/s/Katherine N. Hoffman
Katherine N. Hoffman, Esq.
HALL & EVANS, LLC
1001 Seventeenth Street, Suite 300
Denver, Colorado 80202
303-628-3300
hoffmank@hallevans.com
Attorneys for Defendant-Appellee City of
Fort Collins
/s/Allison R. Ailer
Allison R. Ailer, Esq.
Ralph L. Carr Colorado Judicial Center
1300 Broadway, 10th Floor
Denver, CO 80203
Attorneys for Board of Governors of the
CSU System and Steven Vasconcellos
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CERTIFICATE OF SERVICE
I hereby certify that on June 13, 2023, I electronically filed the foregoing
Defendants/Appellees’ Joint Opposed Motion for Extension of Time to File
Appellees’ Briefs with the Clerk of this Court using the appellate CM/ECF system
and was sent via email to Appellant at the below address:
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
June 13, 2023 /s/Katherine Hoffman
Katherine N. Hoffman
Counsel for Appellee City of Fort
Collins
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CERTIFICATE OF COMPLIANCE
I hereby certify that the foregoing motion complies with the requirements of
Fed. R. App. P. 27 because it has been prepared in 14-point Times New Roman, a
proportionally spaced font. I further certify that this motion complies with the type-
volume limitation of Fed. R. App. P. 27 because it contains 634 words according to
the count of Microsoft Word.
June 13, 2023 /s/Katherine Hoffman
Katherine Hoffman
Counsel for Appellee City of Fort
Collins
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CERTIFICATE OF DIGITAL SUBMISSION
Pursuant to this Court’s CM/ECF User’s Manual, I hereby certify that: (i) all
required privacy redactions have been made, per 10th Cir. R. 25.5; (ii) if required to
file additional hard copies, the ECF submission is an exact copy of those documents;
and (iii) the ECF submission was scanned for viruses with the most recent version
of Windows Defender Antivirus using the most recent security definitions and,
according to that program, is free of viruses.
June 13, 2023 /s/Katherine Hoffman
Katherine Hoffman
Counsel for Appellee City of Fort
Collins
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