State of Hawaii v. Trump
Filing
154
MOTION for Leave to File [Motion of the State of Illinois for Leave to File Amicus Brief] Duane R. Miyashiro appearing for Amicus Parties State of California, State of Connecticut, State of Delaware, State of Illinois, State of Iowa, State of Maryland, State of Massachusetts, State of New Mexico, State of New York, State of Oregon, State of Rhode Island, State of Vermont, State of Virginia, The District of Columbia (Attachments: # 1 Memorandum in Support of Motion, # 2 Declaration of David L. Franklin, # 3 Exhibit 1-Brief Amicus Curiae of Illinois and Other States, # 4 Certificate of Service)(Miyashiro, Duane)
ADAMS MIYASHIRO KREK
A Limited Liability Law Partnership
DUANE R. MIYASHIRO
900 Fort Street Mall, Suite 1700
Honolulu, HI 96813
Telephone: 808.777.2900
Facsimile: 808.664-8626
6513
dmiyashiro@amkhawaii.com
Attorney for STATES OF ILLINOIS, CALIFORNIA,
CONNECTICUT, DELAWARE, IOWA, MARYLAND,
MASSACHUSETTS, NEW MEXICO, NEW YORK,
OREGON, RHODE ISLAND, VERMONT, VIRGINIA
and THE DISTRICT OF COLUMBIA
LISA MADIGAN
Attorney General of Illinois
DAVID L. FRANKLIN*
Solicitor General
100 West Randolph Street, 12th Floor
Chicago, Illinois 60601
Telephone No.: (312) 814-5376
Facsimile No.: (312) 814-2275
DFranklin@atg.state.il.us
*Pro Hac Vice motion pending
Attorney for the STATE OF ILLINOIS
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF HAWAIʻI
STATE OF HAWAI‘I, and ISMAIL
ELSHIKH,
Plaintiffs,
vs.
DONALD J. TRUMP, in his official
capacity as President of the United
States; U.S. DEPARTMENT OF
CIVIL NO. 17-00050-DKW-KSC
MOTION OF THE STATE OF
ILLINOIS FOR LEAVE TO FILE
AMICUS BRIEF; MEMORANDUM
IN SUPPORT OF MOTION;
DECLARATION OF DAVID L.
FRANKLIN; EXHIBIT “1”;
CERTIFICATE OF SERVICE
HOMELAND SECURITY; JOHN F.
KELLY, in his official capacity as
Secretary of Homeland Security; U.S.
DEPARTMENT OF STATE; REX
TILLERSON, in his official capacity as
Secretary of State; and the UNITED
STATES OF AMERICA,
Defendants.
MOTION OF THE STATE OF ILLINOIS FOR
LEAVE TO FILE AN AMICUS BRIEF
The States of Illinois, California, Connecticut, Delaware, Iowa, Maryland,
Massachusetts, New Mexico, New York, Oregon, Rhode Island, Vermont, Virginia
and the District of Columbia, by and through its undersigned counsel, respectfully
moves for leave to file an amicus brief in support of Plaintiffs’ Motion for
Temporary Restraining Order, filed March 8, 2017 (Dkt. No. 65).
Plaintiffs consent to the filing of the amicus brief; the Government takes no
position on this motion. As set forth more fully in the attached Memorandum in
Support of Motion, this Court has broad discretion to grant amicus curiae status to
the State of Illinois. A copy of the State of Illinois’s proposed amicus brief is
attached to the accompanying Declaration of David L. Franklin as Exhibit “1.”
This motion is made pursuant to Rule 7 of the Federal Rules of Civil
Procedure and Rules 7.1 and 7.2 of the Local Rules for the United States District
Court for the District of Hawai‘i, and is based on the Memorandum in Support of
2.
Motion, the attached Declaration of David L. Franklin, Exhibit “1,” and the records
and files in this case.
DATED: Honolulu, Hawaiʻi, March 13, 2017.
/s/ Duane R. Miyashiro
DUANE R. MIYASHIRO
Attorney for the STATES OF ILLINOIS,
CALIFORNIA,
CONNECTICUT, DELAWARE, IOWA,
MARYLAND, MASSACHUSETTS,
NEW MEXICO, NEW YORK,
OREGON, RHODE ISLAND,
VERMONT, VIRGINIA and THE
DISTRICT OF COLUMBIA
3.
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