Stenson v. Colvin
Filing
11
JOINT CASE MANAGEMENT PLAN FOR SOCIAL SECURITY CASES (ORDER). SS Plaintiffs Brief due by 3/26/2014. SS Defendants Brief due by 4/25/2014. SS Plaintiffs Reply Brief due by 5/12/2014. By Judge John L. Kane on 2/19/2014. (klyon, )
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLORADO
Civil Action No. 1:13-cv-2107-AP
JOSEPH STENSON,
Plaintiff,
v.
CAROLYN W. COLVIN,
Acting Commissioner of Social Security,
Defendant.
JOINT CASE MANAGEMENT PLAN FOR SOCIAL SECURITY CASES
1.
APPEARANCES OF COUNSEL AND PRO SE PARTIES
For Plaintiff:
Joseph A. Whitcomb, Esq
Rocky Mountain Disability Law Group
1391 Speer Blvd., Suite 705
Denver, CO 80204
303-534-1954
303-534-1949 (facsimile)
Joe@rmdlg.com
For Defendant:
John F. Walsh
United States Attorney
J. Benedict García
Assistant United States Attorney
United States Attorney’s Office
J.B.Garcia@usdoj.gov
James L. Burgess
Special Assistant United States Attorney
Social Security Administration, Region VIII
Office of the General Counsel
1961 Stout Street, Suite 4169
Denver, Colorado 80294-4003
Phone: 303-844-1856
Facsimile: 303-844-0770
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Email: james.burgess@ssa.gov
2.
STATEMENT OF LEGAL BASIS FOR SUBJECT MATTER JURISDICTION
The Court has jurisdiction based on section 205(g) of the Social Security Act, 42 U.S.C.
405(g).
3.
DATES OF FILING OF RELEVANT PLEADINGS
A.
Date Complaint Was Filed:
August 7, 2013
B.
Date Complaint Was Served on U.S. Attorney's Office: December 4,
C.
Date Answer and Administrative Record Were Filed: January 30, 2014
2013
4.
STATEMENT REGARDING THE ADEQUACY OF THE RECORD
To the best of his knowledge, Plaintiff states that the record is complete and accurate.
To the best of his knowledge, Defendant states that the record is complete and accurate.
5.
STATEMENT REGARDING ADDITIONAL EVIDENCE
The parties do not anticipate submitting additional evidence.
6.
STATEMENT REGARDING WHETHER THIS CASE RAISES UNUSUAL CLAIMS
OR DEFENSES
The parties state that this case does not raise unusual claims or defenses.
7.
OTHER MATTERS
The parties state that there are no other matters.
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8.
BRIEFING SCHEDULE
A.
B.
Defendant’s Response Brief Due: April 25, 2014
C.
9.
Plaintiff's Opening Brief Due: March 26, 2014
Plaintiff’s Reply Brief (If Any) Due: May 12, 2014
STATEMENTS REGARDING ORAL ARGUMENT
A.
B.
10.
Plaintiff's Statement: Plaintiff does not request oral argument.
Defendant's Statement: Defendant does not request oral argument.
CONSENT TO EXERCISE OF JURISDICTION BY MAGISTRATE JUDGE
A.
B.
11.
(
)
(X)
All parties have consented to the exercise of jurisdiction of a
United States Magistrate Judge.
All parties have not consented to the exercise of jurisdiction of a
United States Magistrate Judge.
AMENDMENTS TO JOINT CASE MANAGEMENT PLAN
THE PARTIES FILING MOTIONS FOR EXTENSION OF TIME OR CONTINUANCES
MUST COMPLY WITH D.C.COLO.LCivR 7.1(C) BY SUBMITTING PROOF THAT A
COPY OF THE MOTION HAS BEEN SERVED UPON THE MOVING ATTORNEY'S
CLIENT, ALL ATTORNEYS OF RECORD, AND ALL PRO SE PARTIES.
The parties agree that the Joint Case Management Plan may be altered or amended
only upon a showing of good cause.
DATED this 19th day of February, 2013.
BY THE COURT:
s/John L. Kane
U.S. DISTRICT COURT JUDGE
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UNITED STATES ATTORNEY
APPROVED:
John F. Walsh
United States Attorney
s/ Joseph A. Whitcomb
402 W. 12th Street
Rocky Mountain Disability Law Group
1391 Speer Blvd., Suite 705
Denver, CO 80204
303-534-1954
303-534-1949 (facsimile)
Joe@rmdlg.com
Attorney for Plaintiff
By: s/James L. Burgess
Special Assistant U.S. Attorney
Social Security Administration, Region VIII
Office of the General Counsel
1961 Stout Street, Suite 4169
Denver, CO 80294
303-844-1856
303-844-0770 (facsimile)
james.burgess@ssa.gov
Attorneys for Defendant
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