Loading...
HomeMy WebLinkAbout2017CV884 - Chayce Anderson V. Fcps Officer Jason Shutters - 137 - Motion For Leave To File Surreply In Opposition To Defendant's Motion For Summary JudgmentUS.124267229.01 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 1:17-CV-00884-CMA-STV CHAYCE AARON ANDERSON, Plaintiff, vs. JASON SHUTTERS, Defendant. MOTION FOR LEAVE TO FILE SURREPLY IN OPPOSITION TO DEFENDANT’S MOTION FOR SUMMARY JUDGMENT Plaintiff Chayce Aaron Anderson (“Plaintiff”), by and through undersigned counsel, requests leave to file a brief surreply in opposition to Defendant’s motion for summary judgment. Pursuant to Local Rule 7.1, Mr. Anderson’s counsel conferred with Defendant’s counsel, who opposes this motion. In support of his Motion, Plaintiff states as follows: 1. Defendant filed his motion for summary judgment (Dkt. 128) (“Motion for Summary Judgment”) on July 5, 2019. Plaintiff filed his response in opposition to Defendant’s Motion for Summary Judgment (Dkt. 133) (“Response”) on July 26, 2019. 2. On August 7, 2019, Defendant filed his reply in support of the Motion for Summary Judgment (Dkt. 136) (“Reply”). Defendant’s Reply misstates the record regarding Plaintiff’s diagnoses and the conduct of Plaintiff’s arrest. 3. Plaintiff should be entitled to correct the record and respond to the arguments raised for the first time in the Reply. See, e.g., Pippin v. Burlington Res. Oil & Gas Co., Case 1:17-cv-00884-CMA-STV Document 137 Filed 08/19/19 USDC Colorado Page 1 of 3 2 US.124267229.01 440 F.3d 1186, 1191-92 (10th Cir. 2006). As such, Plaintiff requests that the Court grant leave to file the Surreply attached as Exhibit A. 4. The proposed Surreply is limited to correcting the record and addressing any new arguments and factual contentions raised in Defendant’s Reply, which will help the court “more fully and fairly evaluate” the pending Motion for Summary Judgment. WHEREFORE, Plaintiff respectfully requests that the Court grant its motion for leave to file a surreply and accept the Surreply attached as Exhibit A for filing. Dated this 19 th day of August, 2019. s/Christopher J. Casolaro_____________ Christopher J. Casolaro Travis Jordan Heather Campbell Burgess Alexandra Lakshmanan FAEGRE BAKER DANIELS LLP 1144 Fifteenth Street, Suite 3400 Denver, CO 80202 Telephone: (303) 607-3500 Facsimile: (303) 607-3600 christopher.casolaro@faegrebd.com travis.jordan@faegrebd.com heather.burgess@faegrebd.com allie.lakshmanan@faegrebd.com Attorneys for Plaintiff Case 1:17-cv-00884-CMA-STV Document 137 Filed 08/19/19 USDC Colorado Page 2 of 3 3 US.124267229.01 CERTIFICATE OF SERVICE The undersigned certifies that on August 19, 2019, a true and correct copy of the foregoing MOTION FOR LEAVE TO FILE SURREPLY IN OPPOSITION TO DEFENDANT’S MOTION FOR SUMMARY JUDGMENT was served on the following counsel of record via the Court’s CM/ECF e-file system: Mark S. Ratner, Esq. HALL & EVANS, L.L.C. 1001 Seventeenth Street, Suite 300 Denver, Colorado 80202 Ratnerm@hallevans.com s/Carol Wildt________________ Legal Administrative Assistant Case 1:17-cv-00884-CMA-STV Document 137 Filed 08/19/19 USDC Colorado Page 3 of 3