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HomeMy WebLinkAbout2018CV3112 - Sean Slatton V. Fort Collins Police Department, Todd Hopkins, Brandon Barnes And John Hutto - 060 - City Defendants' Response To Plaintiff's Second Motion For Extension Of TimeIN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil Action No. 18-cv-03112-RBJ-STV SEAN SLATTON, Plaintiff v. TODD HOPKINS, BRANDON BARNES, JOHN HUTTO and FORT COLLINS POLICE DEPARTMENT Defendants. DEFENDANTS BRANDON BARNES, JOHN HUTTO AND THE CITY OF FORT COLLINS, SUED AS THE “FORT COLLINS POLICE DEPARTMENT”, RESPONSE TO PLAINTIFF’S SECOND MOTION FOR EXTENSION OF TIME (ECF No. 56) Defendants, Brandon Barnes, John Hutto, and the City of Fort Collins, sued as the “Fort Collins Police Department,” through their Attorneys, Mark S. Ratner, Esq., and Hall & Evans, L.L.C., submit the following as their Response to Plaintiff’s Second Motion for Extension of Time (ECF No. 56) as follows: I. INTRODUCTION AND ARGUMENT On August 6, 2019, the Plaintiff filed a second Motion for Extension of Time, which sought an additional 21-days in which to file a response to the Defendants’ Motion to Dismiss. The Plaintiff supports his Motion in part, by indicating the body-cam videos and surveillance footage, were “corrupted.” Plaintiff’s statements create a false impression, thereby necessitating this response. In particular, the Plaintiff received the videos on or about July 19, 2019. However, he did not notify undersigned Counsel about the purportedly damaged files until yesterday, August 6, Case 1:18-cv-03112-RBJ-STV Document 60 Filed 08/07/19 USDC Colorado Page 1 of 3 2019. Plaintiff’s statements create the false impression Counsel was somehow notified of the “corrupted files” but failed to address the issue. Undersigned Counsel is now in the process of providing a new set of videos. Pro Se Plaintiff indicates Counsel objects to his Motion. This is also incorrect, as undersigned Counsel indicated the City of Fort Collins, Brandon Barnes, and John Hutto, do not take a position with respect to the requested relief. Respectfully submitted this 7th day of August 2019. /s/ Mark S. Ratner Mark S. Ratner Hall & Evans, L.L.C. 1001 17th Street, Suite 300 Denver, CO 80202 Phone: 303-628-3300 Fax: 303-628-3368 ratnerm@hallevans.com ATTORNEYS FOR DEFENDANTS BRANDON BARNES, JOHN HUTTO, AND THE CITY OF FORT COLLINS, SUED AS THE CITY OF FORT COLLINS POLICE DEPARTMENT Case 1:18-cv-03112-RBJ-STV Document 60 Filed 08/07/19 USDC Colorado Page 2 of 3 CERTIFICATE OF SERVICE (CM/ECF) I HEREBY CERTIFY that on the 7th day of August 2019, I electronically filed the foregoing DEFENDANTS BRANDON BARNES, JOHN HUTTO AND THE CITY OF FORT COLLINS, SUED AS THE “FORT COLLINS POLICE DEPARTMENT”, RESPONSE TO PLAINTIFF’S SECOND MOTION FOR EXTENSION OF TIME (ECF No. 53) with the Clerk of Court using the CM/ECF system and mailed a copy to the following: Sean Slatton 951 20th Street. #8971 Denver, CO 80202 Marni Nathan Kloster Nicholas C. Poppe Nathan Dumm & Mayer, P.C. MKloster@ndm-law.com NPoppe@ndm-law.com /s/ Mary McNichols Legal Assistant Case 1:18-cv-03112-RBJ-STV Document 60 Filed 08/07/19 USDC Colorado Page 3 of 3