Parents, Families, and Friends of Lesbians and Gays, Inc. et al v. Camdenton R-III School District et al

Filing 107

CERTIFICATE OF SERVICE by Campus Pride, Inc., Dignity, Inc., Matthew Shepard Foundation, Parents, Families, and Friends of Lesbians and Gays, Inc. filed by Allison N Manger on behalf of Plaintiffs Campus Pride, Inc., Dignity, Inc., Matthew Shepard Foundation, Parents, Families, and Friends of Lesbians and Gays, Inc..(Manger, Allison)

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UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MISSOURI CENTRAL DIVISION Parents, Families, and Friends of Lesbians and Gays, Inc., et al., Plaintiffs, v. Camdenton R-III School District; et al., Defendants. ) ) ) ) ) ) ) ) ) ) No. 2:11-cv-04212-NKL CERTIFICATE OF SERVICE FOR PLAINTIFFS’ DISCOVERY RESPONSES Plaintiffs Parents, Families and Friends of Lesbians and Gays, Inc., Campus Pride, Inc., Dignity, Inc. d/b/a DignityUSA, and Matthew Shepard Foundation, by and through counsel, hereby certify that, on January 25, 2012, (1) Plaintiff Parents, Families, and Friends of Lesbians and Gays, Inc.’s Responses and Objections to Defendants’ First Request for Production of Documents, (2) Plaintiff Campus Pride, Inc.’s Responses and Objections to Defendants’ First Request for Production of Documents, (3) Plaintiff Dignity, Inc.’s Responses and Objections to Defendants’ First Request for Production of Documents, (4) Plaintiff Matthew Shepard foundations’ Responses and Objections to Defendants’ First Request for Production of Documents, (5) Plaintiff Parents, Families, and Friends of Lesbians and Gays, Inc.’s Answers and Objections to Defendants’ First Set of Interrogatories, (6) Plaintiff Campus Pride, Inc.’s Answers and Objections to Defendants’ First Set of Interrogatories, (7) Plaintiff Dignity, Inc.’s Answers and Objections to Defendants’ First Set of Interrogatories, and (8) Plaintiff Matthew 5476854.1 Shepard Foundation’s Answers and Objections to Defendants’ First Set of Interrogatories were served on the following via U.S. mail, postage prepaid: Thomas A. Mickes Betsey A. Helfrich MICKES GOLDMAN O’TOOLE, LLC 555 Maryville University Drive Suite 240 St. Louis, Missouri 63141 Attorneys for Defendants Camdenton R-III School District and Timothy E. Hadfield Respectfully submitted, /s/ Allison N. Manger Allison N. Manger #59255 THOMPSON COBURN LLP One U.S. Bank Plaza St. Louis, Missouri 63101 314-552-6000 FAX 314-552-7000 amanger@thompsoncoburn.com Attorneys for Plaintiffs 5476854.1 -2- CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing was served by operation of the Court CM/ECF system upon the above-listed counsel for each of the Defendants and counsel for Amici Curiae on January 25, 2012. /s/ Allison N. Manger 5476854.1 -3-

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