IN RE: GUANTANAMO BAY DETAINEE LITIGATION

Filing 1206

Memorandum in opposition to re (136 in 1:05-cv-01601-GK) MOTION for Hearing Petitioners' Motion for a Status Conference filed by GEORGE W. BUSH, DONALD RUMSFELD, JAY HOOD, MIKE BUMGARNER. (Attachments: # 1 Text of Proposed Order)(Wolfe, Kristina)

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IN RE: GUANTANAMO BAY DETAINEE LITIGATION Doc. 1206 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA ____________________________________ ) IN RE: ) GUANTANAMO BAY ) Misc. No. 08-442 (TFH) DETAINEE LITIGATION ) ___________________________________ ) ) ) HAMID AL RAZAK et. al., ) Petitioners, ) ) Civil Action No. 05-1601 (GK) v. ) ) GEORGE W. BUSH, et. al., ) ) Defendants. ) ____________________________________) RESPONDENTS' OPPOSITION TO PETITIONERS' MOTION FOR A STATUS CONFERENCE Respondents submit this response to Petitioners' November 26, 2008 Motion for a Status Conference to Consider Scheduling Issues, Dkt. No. 136 in 05-cv-1601. Petitioners move the Court to schedule a status conference to discuss this Court's November 17, 2008 Case Management Order, Dkt. No. 129, and the related November 21, 2008 Order of Judge Hogan staying many of the deadlines and obligations set forth in the consolidated Case Management Order (the "CMO"), Dkt. No. 1026 in 08-mc-442. See Pet'r's Mot., Dkt. No. 136 at 1. Petitioners also seek entry of an Order directing the parties to comply with this Court's November 17, 2008 Case Management Order, as well as Judge Hogan's November 21, 2008 Order staying many of the deadlines and obligations set forth in the CMO. Id. Respondents oppose Petitioners' motion because such issues, or related issues, are currently pending before Dockets.Justia.com Judge Hogan in connection with Respondents's Motion for Clarification and Reconsideration of the November 6, 2008 Case Management Order and Supplemental Amended Orders or, in the Alternative, Motion for Certification for Appeal Pursuant to 28 U.S.C. § 1292(b) and to Stay Certain Obligations Pending Resolution of the Motion and any Appeal. See Dkt. No. 1004 in 08-mc-442. On November 6, 2008, in accordance with the July 1, 2008 Resolution of the Executive Session, Judge Hogan issued a Case Management Order providing a general procedural framework for litigation in this case, along with 112 other habeas cases involving nearly 200 enemy combatants challenging their continued detention in the wake of Boumediene v. Bush, 128 S. Ct. 2229 (2008).1 Respondents subsequently filed its motion for clarification and reconsideration, and in response, Judge Hogan stayed, in this and other cases, the deadlines imposed by paragraphs I.C, I.D, I.E, I.F, II.B, II.C, and III.A of the CMO ­ including deadlines for filing unclassified returns and for providing discovery and exculpatory evidence ­ pending resolution of Respondents' motion. See Order, Dkt. No. 1026 in 08-mc-442. Judge Hogan also scheduled a hearing on the matter for December 10, 2008. See Order, Dkt. No. 1158 in 08-mc442. Thus, the common scheduling and discovery issues, or related issues, Petitioners wish to discuss at their proposed status conference are currently being considered by Judge Hogan. These issues remain within the purview of Judge Hogan's coordination and management function pending adjudication of Respondents' motion. Accordingly, a separate status conference in this case to discuss such issues, at a minimum, is premature prior to resolution of This Court adopted the Case Management Order, which certain modifications, on November 17, 2008. See Order, Dkt. No. 129 at 1. 2 1 Respondents' motion and the lifting of the November 21, 2008 stay. For these same reasons, this Court should not order the parties to file status reports on these scheduling and discovery issues. Petitioners' Motion for a Status Conference, therefore, should be denied. Dated: December 9, 2008 Respectfully submitted, GREGORY G. KATSAS Assistant Attorney General JOHN C. O'QUINN Deputy Assistant Attorney General /s/ Kristina A. Wolfe JOSEPH H. HUNT (D.C. Bar No. 431134) VINCENT M. GARVEY (D.C. Bar No. 127191) TERRY M. HENRY PAUL E. AHERN KRISTINA A. WOLFE Attorneys United States Department of Justice Civil Division, Federal Programs Branch 20 Massachusetts Ave., N.W. Washington, DC 20530 Tel: (202) 353-4519 Attorneys for Respondents 3

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