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Case 2:19-cv-01062-RSM-JRC Document 14 Filed 09/16/19 Page 1 of 2

1 District Judge Ricardo S. Martinez

7 IN THE UNITED STATES DISTRICT COURT


FOR THE WESTERN DISTRICT OF WASHINGTON
8 AT SEATTLE

9
CITIZENS OF THE EBEY’S RESERVE No. 2:19-cv-01062-RMS-JRC
10 FOR A HEALTHY, SAFE & PEACEFUL
ENVIRONMENT, and PAULA SPINA,
ORDER GRANTING STIPULATED MOTION
11 Plaintiffs, FOR AN ENLARGEMENT OF TIME TO FILE A
RESPONSE TO THE COMPLAINT AND
12 v. LODGE THE ADMINISTRATIVE RECORD

13 UNITED STATES DEPARTMENT OF


THE NAVY, a military department of the
United States; and TODD C. MELLON, in
14 his official capacity as Acting Assistant
Secretary of the Navy for Energy,
15 Installations & Environment,

16 Defendants,

17 THIS MATTER having come before the Court upon a Stipulated Motion for an

18 Enlargement of Time to File a Response to the Complaint and Lodge the Administrative Record

19 (the “Motion”), the Court does hereby find good cause to GRANT the Motion. Accordingly, the

20 Defendants’ deadline to file a response to the Plaintiffs’ complaint in this action is extended to

21 October 16, 2019. Additionally, Defendants’ deadline to lodge the relevant administrative record

22 with this Court is hereby vacated, and the parties are ordered to propose to the Court a mutually

23 agreeable, reasonable schedule for lodging the record, supplementing the record if needed, and

24
ORDER GRANTING MOTION FOR AN ENLARGEMENT -1- U.S. Department of Justice
25 OF TIME TO FILE A RESPONSE TO THE COMPLAINT 150 M. Street, NE
AND LODGE THE ADMINISTRATIVE RECORD Washington, DC 20002
No. 2:19-cv-01062
Case 2:19-cv-01062-RSM-JRC Document 14 Filed 09/16/19 Page 2 of 2

1 for any briefing related thereto (if needed). The parties are further directed to file this proposed

2 schedule with the Court no later than October 16, 2019.

3 DATED this 16 day of September 2019.

5 A
RICARDO S. MARTINEZ
6 CHIEF UNITED STATES DISTRICT JUDGE

8 Presented by:

9 LAWRENCE VANDYKE
Deputy Assistant Attorney General
10
By: /s/ Brigman L. Harman
11 Brigman L. Harman
United States Department of Justice
12 Environment & Natural Resources Division
Natural Resources Section
13 150 M Street, NE
Washington, D.C. 20002
14 Counsel of Record for the Federal Defendants

15
BRICKLIN & NEWMAN, LLP
16
By: s/ Zachary Griefen (with permission)
17 David A. Bricklin, WSBA No. 7583
Claudia M. Newman, WSBA No. 24928
18 Zachary K. Griefen, WSBA No. 48608
1424 Fourth Avenue, Suite 500
19 Seattle, WA 98101
Tel: (206) 264-8600
20 Fax: (206) 264-9300
Email: bricklin@bnd-law.com
21 newman@bnd-law.com
griefen@bnd-law.com
22 Counsel of Record of COER and Paula Spina

23

24
ORDER GRANTING MOTION FOR AN ENLARGEMENT -2- U.S. Department of Justice
25 OF TIME TO FILE A RESPONSE TO THE COMPLAINT 150 M. Street, NE
AND LODGE THE ADMINISTRATIVE RECORD Washington, DC 20002
No. 2:19-cv-01062

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