Perry et al v. Schwarzenegger et al

Filing 8

MOTION to Intervene filed by Proposition 8 Official Proponents, Dennis Hollingsworth, Gail J. Knight, Martin F. Gutierrez, Hak-Shing William Tam, Mark A. Jansson, ProtectMarriage.com - Yes on 8, A Project of California Renewal. Motion Hearing set for 7/2/2009 10:00 AM in Courtroom 6, 17th Floor, San Francisco. (Attachments: #1 Exhibit A, #2 Exhibit B, #3 Exhibit C, #4 Exhibit D, #5 Exhibit E, #6 Exhibit F, #7 Exhibit G, #8 Exhibit H, #9 Exhibit I, #10 Exhibit J, #11 Exhibit K, #12 Exhibit L, #13 Exhibit M, #14 Exhibit N, #15 Proposed Order, #16 Certificate of Service)(Chandler, Timothy) (Filed on 5/28/2009)

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Perry et al v. Schwarzenegger et al Doc. 8 Att. 13 Case3:09-cv-02292-VRW Document8-14 Filed05/28/09 Page1 of 5 EXHIBIT N Dockets.Justia.com Case3:09-cv-02292-VRW Document8-14 Filed05/28/09 Page2 of 5 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 ALLIANCE DEFENSE FUND Timothy Chandler (CA Bar No. 234325) tchandler@telladf.org 101 Parkshore Drive, Suite 100, Folsom, California 95630 Telephone: (916) 932-2850, Facsimile: (916) 932-2851 Benjamin W. Bull, (AZ Bar No. 009940) bbull@telladf.org Brian W. Raum (NY Bar No. 2856102)* braum@telladf.org James A. Campbell (OH Bar No. 0081501)* jcampbell@telladf.org 15100 North 90th Street, Scottsdale, Arizona 85260 Telephone: (480) 444-0020, Facsimile: (480) 444-0028 LAW OFFICES OF ANDREW P. PUGNO Andrew P. Pugno (CA Bar No. 206587)+ andrew@pugnolaw.com 101 Parkshore Drive, Suite 100, Folsom, California 95630 Telephone: (916) 608-3065, Facsimile: (916) 608-3066 ATTORNEYS FOR PROPOSED INTERVENORS DENNIS HOLLINGSWORTH, GAIL J. KNIGHT, MARTIN F. GUTIERREZ, HAK-SHING WILLIAM TAM, and MARK A. JANSSON; and PROTECTMARRIAGE.COM ­ YES ON 8, A PROJECT OF CALIFORNIA RENEWAL * Pro hac vice application forthcoming + Application for admission forthcoming UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF CALIFORNIA KRISTIN M. PERRY, SANDRA B. STIER, PAUL T. KATAMI, and JEFFREY J. ZARRILLO, Plaintiffs, v. ARNOLD SCHWARZENEGGER, in his official capacity as Governor of California; EDMUND G. BROWN, JR., in his official capacity as Attorney General of California; MARK B. HORTON, in his official capacity as Director of the California Department of Public Health and State Registrar of Vital Statistics; LINETTE SCOTT, in her official capacity as Deputy Director of Health Information & Strategic Planning for the California Department of Public Health; PATRICK O'CONNELL, in his official capacity as Clerk-Recorder for the County of Alameda; and DEAN C. LOGAN, in his official capacity as Registrar-Recorder/County Clerk for DECLARATION OF JAMES A. CAMPBELL IN SUPPORT OF PROPOSED INTERVENORS' MOTION TO INTERVENE CASE NO. 09-CV-2292 VRW CASE NO. 09-CV-2292 VRW DECLARATION OF JAMES A. CAMPBELL IN SUPPORT OF PROPOSED INTERVENORS' MOTION TO INTERVENE Case3:09-cv-02292-VRW Document8-14 Filed05/28/09 Page3 of 5 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 the County of Los Angeles, Defendants, and PROPOSITION 8 OFFICIAL PROPONENTS DENNIS HOLLINGSWORTH, GAIL J. KNIGHT, MARTIN F. GUTIERREZ, HAKSHING WILLIAM TAM, and MARK A. JANSSON; and PROTECTMARRIAGE.COM ­ YES ON 8, A PROJECT OF CALIFORNIA RENEWAL, Proposed Intervenors. DECLARATION OF JAMES A. CAMPBELL IN SUPPORT OF PROPOSED INTERVENORS' MOTION TO INTERVENE CASE NO. 09-CV-2292 VRW Case3:09-cv-02292-VRW Document8-14 Filed05/28/09 Page4 of 5 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 I, James A. Campbell, declare as follows: 1. I am one of the attorneys for Proposed Intervenors Dennis Hollingsworth, Gail J. Knight, Martin F. Gutierrez, Hak-Shing William Tam, Mark A. Jansson, and Proposition 8 Campaign Committee ProtectMarriage.com ­ Yes on 8, a Project of California Renewal. 2. Exhibit G to Proposed Intervenors' Motion to Intervene is a true and accurate copy of the Petition for Extraordinary Relief filed in the California Supreme Court in Bennett v. Bowen, No. S164520. 3. Exhibit H to Proposed Intervenors' Motion to Intervene is a true and accurate copy of an order issued by the California Supreme Court on July 16, 2008, in Bennett v. Bowen, No. S164520, which summarily denied the petition filed in that case. 4. Exhibit I to Proposed Intervenors' Motion to Intervene is a true and accurate copy of the Amended Petition for Extraordinary Relief filed in the California Supreme Court on November 5, 2008, in Strauss v. Horton, No. S168047. 5. Exhibit J to Proposed Intervenors' Motion to Intervene is a true and accurate copy of an order issued by the California Supreme Court on November 19, 2008, in Strauss v. Horton, No. S168047, which granted Proposed Intervenors' request to intervene in that challenge to Proposition 8. 6. Exhibit K to Proposed Intervenors' Motion to Intervene is a true and accurate copy of the Answer Brief of the Attorney General filed in Response to the Petition for Extraordinary Relief in Strauss v. Horton, No. S168047. 7. Exhibit L to Proposed Intervenors' Motion to Intervene is a true and accurate copy of an order issued by the United States District Court for the Central District of California on May 6, 2009, in Smelt v. United States, Case No. SACV-09-286 DOC (MLGx), which granted Proposed Intervenors' request to intervene in that federal constitutional challenge to Proposition 8. 8. Exhibit M to Proposed Intervenors' Motion to Intervene is a true and accurate copy of the Answer Brief of State of California and the Attorney General to Opening Brief on the Merits filed in the California Supreme Court in In re Marriage Cases, No. S147999. DECLARATION OF JAMES A. CAMPBELL IN SUPPORT OF PROPOSED INTERVENORS' MOTION TO INTERVENE CASE NO. 09-CV-2292 VRW Case3:09-cv-02292-VRW Document8-14 Filed05/28/09 Page5 of 5

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