Southern California Alliance of Publicly Owned Treatment Works et al v. United States Environmental Protection Agency et al

Filing 26

STIPULATION AND ORDER signed by District Judge Morrison C. England, Jr. on 7/20/2017: Hearing as to 20 Motion to Dismiss RESET for 8/10/2017 at 02:00 PM in Courtroom 7 (MCE) before District Judge Morrison C. England Jr.. (Kaminski, H)

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1 2 3 4 5 PHILLIP A. TALBERT United States Attorney CHI SOO KIM Assistant United States Attorney 501 I Street, Suite 10-100 Sacramento, CA 95814 Telephone: (916) 554-2700 Facsimile: (916) 554-2900 6 7 Attorneys for Defendants 8 9 10 11 12 13 14 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA SOUTHERN CALIFORNIA ALLIANCE OF PUBLICLY OWNED TREATMENT WORKS, CENTRAL VALLEY CLEAN WATER ASSOCIATION, NATIONAL ASSOCIATION OF CLEAN WATER AGENCIES, and BAY AREA CLEAN WATER AGENCIES, 15 18 19 20 21 22 JOINT STIPULATION AND ORDER TO RE-SCHEDULE THE HEARING DATE FOR EPA’S MOTION TO DISMISS THE FIRST AMENDED COMPLAINT Plaintiffs, 16 17 Case No. 2:16-cv-02960-MCE-DB v. UNITED STATES ENVIRONMENTAL PROTECTION AGENCY; ALEXIS STRAUSS, ACTING REGIONAL ADMINISTRATOR, UNITED STATES ENVIRONMENTAL PROTECTION AGENCY, REGION IX; and DOES 1 to 10, Current Date: August 24, 2017 Time: 2:00 p.m. Place: Courtroom 7, 14th Floor Judge: Hon. Morrison C. England, Jr. Proposed Date: August 10, 2017 Time: 2:00 p.m. Place: Courtroom 7, 14th Floor Judge: Hon. Morrison C. England, Jr. Defendants. 23 24 Defendants United States Environmental Protection Agency and Acting Regional 25 Administrator Alexis Strauss (collectively, “EPA”) and Plaintiffs Southern California 26 Alliance of Publicly Owned Treatment Works (“SCAP”), Central Valley Clean Water 27 Association (“CVCWA”), National Association of Clean Water Agencies (“NACWA”), 28 and Bay Area Clean Water Agencies (“BACWA”), through their respective attorneys, JOINT STIPULATION AND ORDER TO RE-SCHEDULE THE HEARING DATE FOR EPA’S MOTION TO DISMISS THE FIRST AMENDED COMPLAINT SCAP v. U.S. EPA (SCAP II), No. 2:16-cv-02960-MCE-DB 1 1 hereby submit this stipulation and respectfully request that the currently scheduled 2 August 24, 2017 hearing date for EPA’s motion to dismiss the First Amended Complaint 3 [Minute Order, ECF No. 22] be changed to August 10, 2017 because lead counsel for 4 Plaintiffs and EPA are traveling and unavailable on August 24, 2017. The current 5 briefing deadlines would remain unchanged with Plaintiffs’ opposition due July 13, 2017 6 7 8 and EPA’s reply due July 20, 2017. Joint Stipulation And [Proposed] Order To Re-Schedule The Hearing Date For Epa’s Motion To Dismiss The First Amended Complaint 9 10 Respectfully submitted, 11 12 Dated: July 12, 2017 13 PHILLIP A. TALBERT United States Attorney /s/ Chi Soo Kim CHI SOO KIM Assistant United States Attorney 14 15 16 17 Dated: July 12, 2017 DOWNEY BRAND LLP 18 _/s/ Melissa A. Thorme_________________ 19 MELISSA A. THORME ASHLEY M. PORTER 20 Attorneys for Plaintiffs 21 22 ORDER 23 24 25 IT IS SO ORDERED. Dated: July 20, 2017 26 27 28 JOINT STIPULATION AND ORDER TO RE-SCHEDULE THE HEARING DATE FOR EPA’S MOTION TO DISMISS THE FIRST AMENDED COMPLAINT SCAP v. U.S. EPA (SCAP II), No. 2:16-cv-02960-MCE-DB 2

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