Perry et al v. Schwarzenegger et al

Filing 730

Declaration in Support of 729 MOTION for Extension of Time to File a Motion for Attorney's Fees and Related Expenses filed byCity and County of San Francisco, Paul T. Katami, Kristin M. Perry, Sandra B. Stier, Jeffrey J. Zarrillo. (Attachments: # 1 Exhibit A, # 2 Exhibit B, # 3 Exhibit C, # 4 Exhibit D, # 5 Exhibit E)(Related document(s) 729 ) (Monagas, Enrique) (Filed on 8/17/2010)

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Perry et al v. Schwarzenegger et al Doc. 730 Att. 1 Exhibit A Dockets.Justia.com Monagas, Enrique A. From: Sent: To: Cc: Andy Stroud [stroud@mgslaw.com] Monday, August 16, 2010 3:21 PM Monagas, Enrique A. Landon Bailey; Bernstein, Erin; Bettan, Richard; Boutrous Jr., Theodore J.; Burns, Gordon; Campbell, J; Chhabria,Vince; Chou, Danny; Cooper, Chuck; Daly, Catheryn; Dettmer, Ethan D.; Dusseault, Christopher D.; Flynn, Ronald; Goldman, Jeremy; Kelcie Gosling; Janky, Mary; Justice Lazarus, Rebecca; Kapur, Theane Evangelis; Angela Knight; Kolm, Claude; Lee, Mollie; Malzahn, Scott; Martinez, Judith; Martinez, Manuel; McGill, Matthew D.; Ken Mennemeier; Monagas, Enrique A.; Moss,Nicole; Nielson, Howard; Olson, Theodore B.; Pachter, Tamar; Panuccio, Jessie; Patterson, Pete; Piepmeier, Sarah E.; Raum, Brian; Richardson,Beko; Schiller, Josh; Stewart, Therese; Tayrani, Amir C.; Thompson, David; Uno, Theodore; Van Aken, Christine; Washington, Brian; Whitehurst, Judy; Gold, Russell; Terry L. Thompson; Daniel Powell Re: Perry v. Schwarzenegger: Stipulation Subject: The Administration Defendants will so stipulate. Andy Stroud Sent from my iPhone PLs excuse typos On Aug 16, 2010, at 5:59 PM, "Monagas, Enrique A." <EMonagas@gibsondunn.com> wrote: Counsel, As the prevailing party, Plaintiffs are entitled to seek attorney's fees and related expenses. Federal Rule of Civil Procedure 54(d)(2)(B)(i) provides that unless a court order provides otherwise, a motion for attorney's fees and related expenses must be "filed no later than 14 days after the entry of judgment." In light of Defendant-Intervenors' notice of appeal and related motion practice, Plaintiffs would like to enter into a stipulation with all parties extending the time by which a motion for attorney's fees must be filed to 30 days after all appeals become final. Additionally, if the Court is reluctant to enter our stipulation, in the alternative we would like to stipulate to an extended briefing schedule: movant's motion would be due 45 days after the court rules on the fees/costs briefing issue; those seeking to oppose the motion for attorney's fees and costs would have 45 days after the motion is filed to do so; and movant would then have 30 days to reply to the opposition. Given the 14-day filing deadline imposed by FRCP 54, we would like to get a stipulation on file tomorrow. Please confirm either today or tomorrow morning whether or not you would agree to a stipulation. If the parties agree, Plaintiffs will circulate a proposed stipulation and order. 1 Please be advised that in the event we cannot reach an agreement among the parties, Plaintiffs may seek to extend time by motion practice. Thank you. Enrique A. Monagas GIBSON DUNN Gibson, Dunn & Crutcher LLP 555 Mission Street, San Francisco, CA 94105-2933 Tel +1 415.393.8353 Fax +1 415.374.8403 EMonagas@gibsondunn.com www.gibsondunn.com ============================================================================= = This message may contain confidential and privileged information. If it has been sent to you in error, please reply to advise the sender of the error and then immediately delete this message. ============================================================================= = 2

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