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HomeMy WebLinkAbout2023CV30659 - East Larimer County Water Dist. v. K & M Co., et al. - 009 - K&M Motion Extension1 DISTRICT COURT, LARIMER COUNTY, COLORADO 201 LaPorte Avenue, Suite 100 Fort Collins, CO 80521 970-494-3500 ▲COURT USE ONLY▲ Petitioners: EAST LARIMER COUNTY WATER DISTRICT, a quasi-municipal corporation and political subdivision of the State of Colorado; and NORTH WELD COUNTY WATER DISTRICT, a quasi-municipal corporation and political subdivision of the State of Colorado v. Respondents: K & M COMPANY, LLLP, a Colorado limited liability limited partnership; BOXELDER SANITATION DISTRICT; THE CITY OF FORT COLLINS, a municipal corporation; ANADARKO E&P ONSHORE LLC, a Delaware limited liability company; ANADARKO LAND CORP., a Nebraska corporation; POUDRE VALLEY RURAL ELECTRIC ASSOCIATION, INC., a Colorado cooperative association; and IRENE JOSEY in her official capacity as the COUNTY TREASURER OF LARIMER COUNTY, COLORADO Attorneys for K & M Company, LLLP Carrie S. Bernstein, Atty Reg. #34966 Joshua T. Mangiagli, Atty Reg. #52375 ALDERMAN BERNSTEIN LLC 101 University Blvd., Suite 350 Denver, Colorado 80206 Phone: 720-460-4200 e-mail:csb@ablawcolorado.com; jtm@ablawcolorado.com Case Number: 23CV30659 Division: 3B RESPONDENT-LANDOWNER’S UNOPPOSED MOTION FOR EXTENSION TO FILE ANSWER Respondent K&M Company, LLLP (“Respondent-Landowner”), by and through its counsel, Alderman Bernstein LLC, hereby requests an extension of time to answer Petitioners’ Petition in Condemnation (“Petition”), and in support thereof, states as follows: C.R.C.P. 121 (c) § 1-15(8) Certification: Undersigned counsel conferred with counsel for Petitioners concerning the relief requested in this Motion and is authorized to state that Petitioners do not object to the requested extension. 2 1. On August 21, 2023, Petitioners served their Petition on Respondent-Landowner. 2. Respondent-Landowner’s Answer is due September 11, 2023. See C.R.C.P. 12(a)(1). 3. Respondent-Landowner requests an extension to file its Answer until September 15, 2023. 4. Granting Respondent-Landowner’ request for an extension is reasonable under the circumstances. Respondent-Landowner is in the process of acquiring Petitioners’ Service Plans, which are essential for Respondent-Landowner to provide a comprehensive response. Importantly, Fort Collins’ answer deadline is also set for September 15, ensuring that a brief extension will not unduly postpone or interfere with this matter. WHEREFORE, Respondent-Landowner respectfully requests the Court to enter an Order (proposed Order submitted herewith) granting an extension of time until and including September 15, 2023, in which to file Respondent-Landowner’s Answer. Respectfully submitted, ALDERMAN BERNSTEIN LLC This document is e-filed per C.R.C.P. 121, section 1- 26. A duly signed copy is on file at the offices of Alderman Bernstein LLC /S/ Joshua T. Mangiagli _____________________ 3 CERTIFICATE OF SERVICE I hereby certify that on this 11th day of September 2023, a true and correct copy of the foregoing was filed and served via ICCES or placed in the United States Mail, first class, postage prepaid, addressed to the following: Timothy L. Goddard Goddard Law Office, PLLC 210 East 29th Street Loveland, CO 80538 Attorney for Petitioner Ryan Malarky Fort Collins City Attorney’s Office 300 Laporte Avenue PO Box 500 Fort Collins, Colorado 80522 Attorneys for City of Fort Collins Frank N. Haug Larimer County Attorney’s Office 224 Canyon Ave., Suite 200 Post Office Box 1606 Fort Collins, Colorado 80522 Attorney for Irene Josey, Treasurer of Larimer County Michael A. Westbrook Starr & Westbrook, P.C. 210 East 29th Street Loveland, CO 80538 Attorney for Poudre Valley Rural Electric Association, Inc. _______/s/__________________________ Cindy Bolton