HomeMy WebLinkAbout2017CV30903 - Ilse Westphal V. City Of Fort Collins, Et Al - 037 - Motion For Attorneys Fees And Costs3127394.1
DISTRICT 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
Kendra L. Kutko, Esq., #51633
HALL & EVANS, L.L.C.
1001 17th
St., Suite 300
Denver, CO 80202
303-628-3300
303-628-3368 / Fax
middletonp@hallevans.com
kutkok@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
▲COURT USE ONLY▲
__________________________
Case No. 2017-CV-030903
Div. 3C
MOTION FOR ATTORNEY’S FEES AND COSTS
FROM CITY OF FORT COLLINS
DATE FILED: August 20, 2018 12:09 PM
FILING ID: 5879FF294C79F
CASE NUMBER: 2017CV30903
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Defendant, City of Fort Collins, by and through its attorneys, Peter C. Middleton and
Kendra L. Kutko of Hall & Evans, L.L.C. and John Duval, Deputy City Attorney, City of Fort
Collins, submits the following Motion for Attorney’s Fees and Costs pursuant to C.R.C.P. 54(d),
C.R.S. § 13-17-201, and C.R.C.P. 121, Section 1-22, and the Court’s July 12, 2018 oral ruling and
August 7, 2018 order.
CERTIFICATE OF CONFERRAL: In accordance with C.R.C.P. 121 § 1-15(8), the
undersigned counsel certifies, that prior to filing this Motion, she conferred with counsel for
Plaintiff regarding this Motion. Counsel for Plaintiff indicated Plaintiff does not oppose the
reasonableness of the attorney rates in this Motion. Counsel for Plaintiff declined to take a position
on the attorney’s fees and costs sought in this Motion, specifying he will take a position following
the filing of the Motion once he sees the specific itemization of attorney’s fees and costs.
1. On October 25, 2017, Plaintiff filed a Complaint against Anthony Jansa, Jansa
Trucking, LLC, (collectively “Jansa Defendants”), and the City of Fort Collins asserting eight
claims for relief stemming from an accident occurring when Jansa backed into Plaintiff on
Harmony Road. Plaintiff’s First through Sixth claims are against Jansa Defendants. Plaintiff’s
Seventh and Eighth claims asserted negligence against the City of Fort Collins.
2. On November 30, 2017, the City filed a motion to dismiss the entirety of Plaintiff’s
claims against the City pursuant to C.R.C.P. 12(b)(1) on the basis that Plaintiff’s claims were tort
claims subject to governmental immunity under the Colorado Governmental Immunity Act, C.R.S.
§ 24-10-101 et seq. (“CGIA”), and that further, Plaintiff’s claims did fall within a “waiver” under
the CGIA.
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3. On December 18, 2017, Plaintiff filed a Response brief in opposition and requested
a hearing pursuant to Trinity Broadcasting of Denver v. City of Westminster, 848 P.2d 916 (Colo.
1993). Plaintiff also requested discovery be allowed prior to the Trinity hearing.
4. On January 5, 2018, the City filed its Reply brief in support of its motion.
5. On January 10, 2018, the Court ruled that Plaintiff was entitled to undertake some
discovery and was entitled to an evidentiary hearing to determine whether Plaintiff’s claims against
the City were barred under the CGIA.
6. Plaintiff served, and the City answered, written discovery, which included
interrogatories, requests for production of documents and requests for admission.
7. Plaintiff also served notices of depositions pursuant to C.R.C.P. 30(b)(1) and
30(b)(6), ultimately taking the depositions of the following City representatives:
May 7, 2018: Travis Walker, Electric Field Services Manager (Utilities, Light and Power)
May 7, 2018: Steve Varnell, Traffic Control Crew Chief (Traffic Control)
May 7, 2018: Chad Willschau, Crew Chief (Utilities, Light and Power)
May 18, 2018: Joseph Olson, City Traffic Engineer (Traffic Operations)
8. The City took the deposition of Plaintiff, Ilse Westphal, on May 18, 2018.
9. The Trinity evidentiary hearing was held on June 25, 2018 and lasted from 10:00
a.m. to approximately 5:00 p.m. Both Plaintiff and the City called witnesses and submitted
exhibits. The Court took the matter under advisement.
10. On July 12, 2018, the Court issued its oral ruling from the bench, granted the City’s
motion, and requested counsel for the City to prepare a proposed Order consistent with its ruling.
On August 7, 2018, the Court entered that Order and granted the City’s motion to dismiss pursuant
to C.R.C.P. 12(b)(1) on the basis of governmental immunity.
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11. The City now requests its entitled attorney’s fees and costs be awarded to it. See
C.R.S. § 13-17-201 (“In all actions brought as a result of . . . an injury to person or property
occasioned by the tort of any other person, where any such action is dismissed on motion of the
defendant prior to trial under rule 12(b) of the Colorado rules of civil procedure, such defendant
shall have judgment for his reasonable attorney fees in defending the action”).
12. The City seeks a total award of costs and fees in its favor and against Plaintiff of
$45,927.22. This breaks down as follows:
Attorney’s Fees $43,188.00
Costs / Expenses $2,739.72
TOTAL: $45,927.72
13. An affidavit in support of the above-mentioned attorney’s fees and costs is attached
as Exhibit A. The billing statement reflecting attorney time spent on this matter, which have been
redacted to block out portions reflecting attorney/ client communications, is attached as Exhibit B.
The billing statement reflecting costs spent on this matter is attached as Exhibit C.
WHEREFORE, City of Fort Collins respectfully requests that these attorney’s fees and
costs be assessed in favor of City of Fort Collins and against Plaintiff in the amount of $43,188.00
in attorney’s fees and $2,739.72 in costs, for a total of $45,927.72 in fees and costs, and all other
relief this Court deems just and proper.
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DATED this 20th day of August, 2018.
/s/ Kendra L. Kutko
Peter C. Middleton, Esq., #32335
Kendra L. Kutko, Esq., #51633
of HALL & EVANS, L.L.C.
ATTORNEYS FOR DEFENDANT
CITY OF FORT COLLINS
/s/ John R. Duval
John R. Duval, Esq., #10185
Deputy City Attorney
of City of Fort Collins
ATTORNEY FOR DEFENDANT
CITY OF FORT COLLINS
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.
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CERTIFICATE OF SERVICE
I hereby certify that on this 20th day of August, 2018, I electronically filed and served the
foregoing MOTION FOR ATTORNEY’S FEES AND COSTS FROM CITY OF FORT
COLLINS 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/ Nicole Marion
Nicole Marion