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HomeMy WebLinkAbout2023-cv-1341 - Erbacher v. City Of Fort Collins, et al. - 052 - City's Unopposed Mot ExtensionIN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 1:23-cv-1341-CNS-NRN Cody Erbacher, Plaintiff. v. City of Fort Collins; and Jason Haferman. Defendants. DEFENDANT CITY OF FORT COLLINS’ UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (ECF 40) Defendant City of Fort Collins, by and through their undersigned counsel, Hall & Evans, LLC, hereby submit the following Unopposed Motion for Extension of Time to File their Reply in Support of their Motion to Dismiss (ECF 40) as follows: CERTIFICATE OF CONFERRAL Counsel for Defendant conferred with Plaintiff’s Counsel, Sarah Schielke, Esq. prior to filing this motion. Plaintiff does not oppose the relief requested herein. STATEMENT PURSUANT TO D.C.Colo.LCivR 6.1(b) Defendants are seeking a 14-day extension to file their Reply in Support of their Motion to Dismiss. 1. According to the allegations of the Complaint, Plaintiff Cody Erbacher (“Plaintiff”) claims he was wrongfully arrested on June 11, 2021, by former Fort Collins Police Officer, Defendant Jason Haferman. The Complaint also alleges the City of Fort Case No. 1:23-cv-01341-CNS-NRN Document 52 filed 12/08/23 USDC Colorado pg 1 of 5 2 Collins and Sergeant Heaton failed to supervise and train Mr. Haferman. In particular, Plaintiff’s Complaint alleges the following claims: Against Defendant Haferman: violation of C.R.S. § 13-21-131 – Arrest without Probable Cause; violation of C.R.S. § 13-21-131 – Violation of Due Process Malicious Prosecution; violation of 42.U.S.C. § 1983 – Malicious Prosecution; Against all Defendants: violation of 42 U.S.C. § 1983 - Unlawful Arrest without Probable Cause – Individual, Failure-to- Supervise/Train, Unconstitutional Pattern/Practice under Monell, Violation of Fourth Amendment Due Process. 2. In addition to this matter, there are four other lawsuits against the City of Fort Collins, Sergeant Heaton, and Jason Haferman, arising out of alleged wrongful arrests made by Mr. Haferman. (See Notice of Related Cases, ECF 2). Motions to Dismiss were also filed in each of the following matters and are currently pending in the United States District Court, District of Colorado: • Derrick Groves v. City of Fort Collins; and Jason Haferman, 1:23-cv- 01339-RM-STV. • Jesse Cunningham v. City of Fort Collins; and Jason Haferman, 1:23-cv-01342-REB. • Harris Elias v. City of Fort Collins; Jason Haferman; and Sergeant Allen Heaton, 1:23-cv-01343-GPG, and; • Carl Sever v. City of Fort Collins; and Jason Haferman, 1:23-cv- 01344-REB. Case No. 1:23-cv-01341-CNS-NRN Document 52 filed 12/08/23 USDC Colorado pg 2 of 5 3 3. On October 9, 2023, the City of Fort Collins, Sergeant Heaton and Sergeant Bogosian filed their Motion to Dismiss Plaintiff’s Amended Complaint pursuant to Fed. R. Civ. P. 12(b)(6) and request for qualified immunity. See ECF 40. 4. On October 26, 2023, November 13, 2023 and November 27, 2023, Plaintiff filed Motions for Extension of Time to Respond to Defendants’ Motion to Dismiss. See ECF 42, 44 and 46. This Court Granted all extensions (See ECF 43, 45 and 47). Ultimately, making Plaintiff’s Response due November 29, 2023. Plaintiff filed their Response to Defendants’ Motion to Dismiss on November 29, 2023. Pursuant to D.C.Colo.LCiv.R.7.1(d), Defendants’ Reply is due December 13, 2023. 5. On November 6, 2023, Plaintiff filed a Notice of Voluntary Dismissal of Sergeant Heaton and Sergeant Bogosian. (See ECF 50 and 51). Therefore, the only remaining Defendants in this matter are the City of Fort Collins and Jason Haferman. 6. Due to the Christmas holiday, and the fact undersigned Counsel needs to prepare replies in each of the other matters, the City of Fort Collins is respectfully requesting a brief 14-day extension up to and including December 27, 2023 to file its Reply in Support of their Motion to Dismiss. 7. Pursuant to D.C.Colo.LCiv.R. 6.1(c), the undersigned counsel as served his clients with this Motion, as reflected on the accompanying Certificate of Service. WHEREFORE, Defendant City of Fort Collins respectfully requests this Court grant them an extension of time up to and including December 27, 2023 to file their Reply in Support of their Motion to Dismiss, and for all other and further relief as this Court deems just and appropriate. Case No. 1:23-cv-01341-CNS-NRN Document 52 filed 12/08/23 USDC Colorado pg 3 of 5 4 Respectfully submitted this 8th day of December 2023. s/ Mark S. Ratner Mark S. Ratner, Esq. Robert A. Weiner, Esq. Katherine N. Hoffman, Esq. Hall & Evans, L.L.C. 1001 17th Street, Suite 300, Denver, CO 80202 303-628-3300 /Fax: 303-628-3368 ratnerm@hallevans.com weinerr@hallevans.com hoffmank@hallevans.com Case No. 1:23-cv-01341-CNS-NRN Document 52 filed 12/08/23 USDC Colorado pg 4 of 5 5 CERTIFICATE OF SERVICE (CM/ECF) I hereby certify that on the 8th day of December 2023, a true and correct copy of the foregoing DEFENDANT CITY OF FORT COLLINS’ UNOPPOSED MOTION FOR EXTENSION OF TIME TO FILE REPLY IN SUPPORT OF MOTION TO DISMISS (ECF 40) was filed with the Court via CM/ECF and served on the below-listed party by email: Sarah Schielke, Esq. sarah@lifeandlibertylaw.com and served on the following via e-mail: City of Fort Collins c/o Aaron Guin, Esq. s/ Sarah Stefanick Case No. 1:23-cv-01341-CNS-NRN Document 52 filed 12/08/23 USDC Colorado pg 5 of 5