HomeMy WebLinkAbout2018CV3112 - Sean Slatton V. Fort Collins Police Department, Todd Hopkins, Brandon Barnes And John Hutto - 066 - Motion For Extension Of Time To File Response To Defendants' Motions To Dismiss1
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLORADO
Civil Action No. 1:18-cv-03112-RBJ-STV
SEAN SLATTON,
Plaintiff,
v.
TODD HOPKINS,
BRANDON BARNES,
JOHN HUTTO, and
FORT COLLINS POLICE DEPARTMENT
Defendants.
______________________________________________________________________________
MOTION FOR EXTENSION TO FILE PLAINTIFF’S RESPONSES TO DEFENDANTS’
MOTIONS TO DISMISS
______________________________________________________________________________
Plaintiffs, by and through their attorney, David A. Lane, hereby submits the following
Motion for Extension of Time to File Plaintiff’s Responses to Defendants’ Motions to Dismiss
and states as follows:
1. Undersigned counsel filed his Entry of Appearance in this case on August 26,
2019 [Doc. 65].
2. Defendant Hopkins filed his Motion to Dismiss on June 14, 2019 [Doc. 28].
3. Defendants Fort Collins, Colorado, Brandon Barnes, and John Hutto filed their
Motion to Dismiss on June 17, 2019 [Doc. 39].
4. Per the review of the filings in this case, Plaintiff’s responses to Defendants’
Motions to Dismiss are due on August 29, 2019 [Doc. 62].
5. Plaintiff’s counsel is diligently reviewing the filings in this matter and preparing
responses to Defendants’ Motions to Dismiss but needs additional thirty (30) days, up to and
including September 30, 2019 to fully prepare the responses.
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6. No party will be prejudiced by the relief sought herein.
CERTIFICATION PURSUANT TO D.C.COLO. LCivR. 7.1
7. Staff for Plaintiff’s counsel, hereby certifies that he conferred with counsel for
Defendants via email on August 27, 2019. Mark Ratner, counsel for Defendants Ft. Collins,
Colorado, Barnes, and Hutto, does not oppose the relief sought herein. Marni Kloster, counsel
for Defendant Hopkins, opposes the relief sought herein.
CERTIFICATION PURSUANT TO D.C.COLO. LCivR. 6.1(c)
8. Counsel for Plaintiffs, David A. Lane, certifies that a copy of this Motion will be
served contemporaneously on Plaintiffs upon the filing of this Motion.
WHEREFORE, Plaintiffs respectfully request that the Court grant his Motion for
Extension of Time to File Responses to Defendants’ Motions to Dismiss, up to and including
September 30, 2019, and for any other relief deemed just and proper.
Respectfully submitted this 28th
day of August 2019.
KILLMER, LANE & NEWMAN, LLP
s/ David A. Lane
________________________
David A. Lane
1543 Champa Street, Suite 400
Denver, Colorado 80202
Phone: (303) 571-1000
dlane@kln-law.com
Counsel for Plaintiffs
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CERTIFICATE OF SERVICE
I certify that on this 28th
day of August, 2019 I filed a true and correct copy of the
foregoing via CM/ECF which will generate e-mailed notice to the following:
Marni Nathan Kloster
Nicholas C. Poppe
Nathan Dumm & Mayer, PC
7900 E. Union Ave., Ste 600
Denver, CO 80237-2776
303-691-3737
MKloster@ndm-law.com
NPoppe@ndm-law.com
Attorney for Defendant Todd Hopkins
Mark Ratner
Hall & Evans, LLC
1001 17th
Street, Ste 300
Denver, CO 80202
303-628-3300
ratnerm@hallevans.com
Counsel for Ft. Collins Defendants
s/ Jamie Akard
Paralegal
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