Opinion
2:22-cv-01032-RFB-NJK
11-14-2022
JASON M. FRIERSON United States Attorney PATRICK A. ROSE Assistant United States Attorney Attorneys for the Federal Defendants METSCH & MASON LLP MICHAEL J. MASON, Esq. PATRICK A. ROSE and ERIC R OLSEN, Esq. GARMAN TURNER GORDON LLP Attorneys for Plaintiff Fullam Enterprises
JASON M. FRIERSON United States Attorney PATRICK A. ROSE Assistant United States Attorney Attorneys for the Federal Defendants
METSCH & MASON LLP MICHAEL J. MASON, Esq. PATRICK A. ROSE and ERIC R OLSEN, Esq. GARMAN TURNER GORDON LLP Attorneys for Plaintiff Fullam Enterprises
STIPULATION AND ORDER TO SET BRIEFING SCHEDULE
Pursuant to the Administrative Procedure Act, 5 U.S.C. §§ 551-559, 701-706, and LR 16-1(c)(1), and considering Plaintiff's counsel's upcoming trial preparations and trial in another matter, Plaintiff and Federal Defendants, through their undersigned attorneys, propose for the Court's approval the following schedule for this matter:
November 30, 2022:
Federal Defendants will produce to Plaintiff and file with the Court the Administrative Record (AR), along with an index of the AR;
January 30, 2023
Plaintiff will file its motion for summary judgment;
February 28, 2023
Federal Defendants will file their combined opposition/motion for summary judgment;
March 30, 2023
Plaintiff will file its combined opposition/reply; and
April 28, 2023
Federal Defendants will file their reply.
IT IS SO ORDERED