Michigan Paralyzed Veterans of America v. University of Michigan

Filing 8

ANSWER Answer to Affirmative Defenses by Michigan Paralyzed Veterans of America. (Cohen, David)

Download PDF
Michigan Paralyzed Veterans of America v. University of Michigan Doc. 8 Case 2:07-cv-11702-SFC-SDP Document 8 Filed 05/21/2007 Page 1 of 3 IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION MICHIGAN PARALYZED VETERANS OF AMERICA, Plaintiff, v. THE UNIVERSITY OF MICHIGAN, Defendant. ______________________________________/ RICHARD H. BERNSTEIN (P58551) DAVID M. COHEN (P55883) LAW OFFICES OF SAMUEL I. BERNSTEIN Attorneys for Plaintiffs 31100 Northwestern Highway Farmington Hills, MI 48334 248-737-8400 BUTZEL LONG, P.C. KEEFE A. BROOKS (P31680) KATHERINE D. GOUDIE (P62806) Attorneys for Defendant Stoneridge West 41000 Woodward Avenue Bloomfield Hills, MI 48304 (248) 258-1616 ______________________________________/ PLAINTIFF'S RESPONSE TO DEFENDANT'S AFFIRMATIVE DEFENSES NOW COMES the Plaintiff, MICHIGAN PARALYZED VETERANS OF AMERICA by and through its attorneys, LAW OFFICES OF SAMUEL I. BERNSTEIN, by RICHARD A. BERNSTEIN, and for its Response to Defendant's Affirmative Defenses dated May 21, 2007, states as follows: 1. In response to Paragraph 1 of Defendant's Affirmative Defenses, Plaintiff denies Case No. 07-11702 Hon. Sean F. Cox Magistrate Judge Pepe 1 Dockets.Justia.com Case 2:07-cv-11702-SFC-SDP Document 8 Filed 05/21/2007 Page 2 of 3 same for the reason that it is not true. 2. In response to Paragraph 2 of Defendant's Affirmative Defenses, Plaintiff denies same for the reason that it is not true. 3. In response to Paragraph 3 of Defendant's Affirmative Defenses, Plaintiff denies same for the reason that it is not true. 4. In response to Paragraph 4 of Defendant's Affirmative Defenses, Plaintiff denies same for the reason that it is not true. 5. In response to Paragraph 5 of Defendant's Affirmative Defenses, Plaintiff denies same for the reason that it is not true. 6. In response to Paragraph 6 of Defendant's Affirmative Defenses, Plaintiff denies same for the reason that it is not true. 7. In response to Paragraph 7 of Defendant's Affirmative Defenses, Plaintiff denies same for the reason that it is not true. 8. In response to Paragraph 8 of Defendant's Affirmative Defenses, Plaintiff denies same for the reason that it is not true. 9. Improper under Federal Court Rules. LAW OFFICES OF SAMUEL I. BERNSTEIN \s\ Richard H. Bernstein_________ RICHARD H. BERNSTEIN (P58551) DAVID M. COHEN (P55883) Attorneys for Plaintiffs 31100 Northwestern Highway Farmington Hills, MI 48334 248-737-8400 Dated: May 21, 2007 2 Case 2:07-cv-11702-SFC-SDP Document 8 Filed 05/21/2007 Page 3 of 3 CERTIFICATE OF MAILING The undersigned certifies under penalty of perjury that he served a copy of the foregoing Plaintiff's Response to Defendant's Affirmative Defenses on May 21, 2007, on all counsel of record in accordance with this Court's policies and procedures for service of electronically filed documents. _s/David M. Cohen_______________ DAVID M. COHEN 3

Disclaimer: Justia Dockets & Filings provides public litigation records from the federal appellate and district courts. These filings and docket sheets should not be considered findings of fact or liability, nor do they necessarily reflect the view of Justia.


Why Is My Information Online?