HomeMy WebLinkAbout2017CV30903 - Ilse Westphal V. City Of Fort Collins, Et Al - 028 - Joint Motion To Continue May 7 2018 Trinity HearingDISTRICT COURT, LARIMER COUNTY,
COLORADO
201 LaPorte Avenue, Suite 100
Fort Collins, CO 80521-2761
Phone: 970-498-6100
______________________________________________
Plaintiff: ILSE G. WESTPHAL
v.
Defendants: ANTHONY JOHN JANSA; JANSA
TRUCKING, LLC, a Colorado Limited Liability
Company; JANSA TRUCKING, LLC, a North Dakota
Limited Liability Company; THE CITY OF FORT
COLLINS, a Colorado municipal corporation
______________________________________________
Attorneys for Defendant City of Fort Collins
Peter C. Middleton, Esq., #32335
HALL & EVANS, L.L.C.
1001 17th
St., Suite 300
Denver, CO 80202
303-628-3300
303-628-3368 / Fax
middletonp@hallevans.com
John Duval, #10185
Deputy City Attorney
City of Fort Collins
300 LaPorte Avenue
Fort Collins, CO 80522-0580
970-416-2488
jduval@fcgov.com
Attorneys for Plaintiff
David M. Herrera, Esq., #12818
HERMS & HERRERA, L.L.C.
3600 South College Avenue, Suite 204
Fort Collins, CO 80525
970-498-9999
david@hhlawoffice.com
▲COURT USE ONLY▲
__________________________
Case No. 2017-CV-030903
Div. 3C
2
JOINT MOTION TO CONTINUE MAY 7, 2018, TRINITY HEARING AND FOR
EXTENSION OF TRINITY DISCOVERY DEADLINE
Defendant, City of Fort Collins, and Plaintiff, Isle G. Westphal, by and through their
counsel, submits their Joint Motion to Continue May 7, 2018, Trinity Hearing and for Extension
of Trinity Discovery Deadline, as follows:
1. C.R.C.P. 121 § 1-15(8) CONFERRAL: Undersigned counsel City Defendant
certifies he has conferred via telephone conference with counsel for Anthony John Jansa, Jansa
Trucking, LLC, a Colorado Limited Liability Company, and Jansa Trucking, LLC, a North Dakota
Limited Liability Company (collectively, “Jansa Defendants”) pursuant to Rule 121 §1-15(8).
Counsel for Co-Defendants indicated that Co-Defendants do not object to a hearing continuance
or deadline extension.
2. On February 1, 2018, the Court entered a Preliminary Case Management Order,
setting the matter for hearing pursuant to Trinity Broadcasting of Denver v. City of Westminster,
848 P.2d 916 (Colo. 1993) to address City of Fort Collins’ assertion of governmental immunity
against Plaintiff’s claims. The Court scheduled the Trinity Hearing to take place on May 7, 2018,
at 8:30 a.m. The Court scheduled the date for completion of all Trinity limited discovery on April
23, 2018.
3. Since that time, counsel for City of Fort Collins has responded to written discovery
and engaged in extensive conferral efforts with Plaintiff’s Counsel to resolve outstanding
discovery disputes. At present, disputes remain over certain discovery items which require
additional conferral, including the scope of Plaintiff’s 30(b)(6) Notice of Deposition. Further, City
of Fort Collins has supplemented its document production as part of these conferral efforts, and
3
Plaintiff’s counsel requires time to review that supplemental production before the Parties proceed
with depositions. Counsel for the Parties have undertaken and continue to undertake these efforts
in the midst of trial preparation for other matters and have made good faith progress toward the
completion of Trinity discovery.
4. For such cause shown, Plaintiff and City of Fort Collins jointly and respectfully
request the Court continue the May 7, 2018, Trinity Hearing, and the accompanying April 23,
2018, Trinity discovery cut-off date to allow Plaintiff and City of Fort Collins to resolve the
remaining discovery disputes and complete depositions prior to the hearing. Based on the
outstanding discovery to be completed and the upcoming trial schedules of counsel, the Parties
seek a revised Trinity Hearing date within the timeframe of June 26 to June 29, 2018, and a revised
Trinity discovery cut-off date of June 20, 2018. Alternatively, if the Court does not have
availability to conduct the hearing within that proposed timeframe, counsel for the Parties request
the Court allow a notice to set a new hearing date mutually agreeable to the Parties.
5. No party will be unfairly prejudiced by the granting of this request as this case is at
its most infant stages.
WHEREFORE, City of Fort Collins and Isle G. Westphal respectfully request a
continuance of the May 7, 2018 Trinity hearing and extension of the Trinity discovery deadline.
Dated: April 23, 2018
/s/ Peter C. Middleton
Peter C. Middleton, Esq., #32335
of HALL & EVANS, L.L.C.
ATTORNEYS FOR DEFENDANT
CITY OF FORT COLLINS
/s/ John R. Duval
John R. Duval, Esq., #10185
4
Deputy City Attorney
of City of Fort Collins
ATTORNEY FOR DEFENDANT
CITY OF FORT COLLINS
/s/ David M. Herrera
David M. Herrera, Esq., #12818
of HERMS & HERRERA, L.L.C.
ATTORNEYS FOR PLAINTIFF
ISLE G. WESTPHAL
In accordance with C.R.C.P. 121 § 1-26(7), a printed copy of this document with original signatures is being
maintained by the filing party and will be made available for inspection by other parties or the Court upon request.
CERTIFICATE OF SERVICE
I hereby certify that on this 23rd
day of April, 2018, I electronically filed and served the
foregoing JOINT MOTION TO CONTINUE MAY 7, 2018 TRINITY HEARING AND FOR
EXTENSION OF TRINITY DISCOVERY DEADLINE via the Colorado Courts E-Filing
system upon the following:
David M. Herrera, Esq., #12818
HERMS & HERRERA, L.L.C.
3600 South College Avenue, Suite 204
Fort Collins, CO 80525
david@hhlawoffice.com
Counsel for Plaintiff
James M. Meseck, Esq., #33021
Joseph W. Mark, #48644
White and Steele, P.C.
600 17th
Street, Suite 600N
Denver, CO 80202
jmeseck@wsteele.com
jmark@wsteele.com
Counsel for Anthony J. Jansa and
Jansa Trucking, LLC
Original Signature on File
s/ Rebecca Walker
Rebecca Walker