Strangmeier v. The City of Houston Texas et al

Filing 25

SUPPLEMENT to 24 MOTION to Supplement Plaintiff's 1st Amended Original Complaint as to 13 Amended Complaint/Counterclaim/Crossclaim etc. MOTION to Supplement Plaintiff's 1st Amended Original Complaint as to 13 Amended Complaint/Counterclaim/Crossclaim etc. by John Strangmeier, filed.(Kallinen, Randall)

Download PDF
IN THE UNITED STATES DISTRICT COURT SOUTHERN DIVISION OF TEXAS HOUSTON DIVISION JOHN STRANGMEIER, INDIVIDUALLY, and on behalf of a Class of All Similarly Situated Persons, Plaintiff, )( )( )( CIVIL ACTION NO.: 4:11-cv-3463 V. )( THE CITY OF HOUSTON, TEXAS, and MAYOR ANNISE PARKER, INDIVIDUALLY; )( JURY TRIAL )( LEAVE TO FILE COMPLAINT SUPP. Defendants. )( AMENDMENT TO CERTIFICATE OF CONFERENCE TO: PLAINTIFF’S MOTION FOR LEAVE TO FILE: PLAINTIFF’S 1ST SUPPLEMENT TO: PLAINTIFF’S 1ST AMENDED ORIGINAL COMPLAINT & REQUEST FOR CLASS CERTIFICATION NOW COMES Plaintiff JOHN STRANGMEIER and files this amended certificate of conference in PLAINTIFF’S MOTION FOR LEAVE TO FILE: PLAINTIFF’S 1ST SUPPLEMENT TO: PLAINTIFF’S 1ST AMENDED ORIGINAL COMPLAINT & REQUEST FOR CLASS CERTIFICATION and will show the Court the following: CERTIFICATE OF CONFERENCE I certify that I have confer in good by e-mailing counsel for defendants on February 5, 2012, about the relief requested. As a motion to dismiss was pending, plaintiff assumed opposing counsel would be OPPOSED and felt as such 12(b)(6) dismissal motion is pending plaintiff filed the motion for leave to supplement amended complaint motion February 5, 2012. On February 6, 2012 opposing counsel e-mailed that defendants were indeed OPPOSED to supplement plaintiff‘s live complaint. /S/ Randall L. Kallinen ______________________________ Randall L. Kallinen AMENDMENT TO PLAINTIFF’S SUPPLEMENT TO 1st AMENDED ORIGINAL COMPLAINT Page 1 . RESPECTFULLY SUBMITTED, LAW OFFICE OF RANDALL L KALLINEN PLLC BfB etÇwtÄÄ _A ^tÄÄ|ÇxÇ _______________________________________ Randall L. Kallinen State Bar of Texas No. 00790995 U.S. Southern District of Texas Bar No.: 19417 Admitted, Fifth U.S. Circuit Court of Appeals Admitted, U.S. Eastern District of Texas 511 Broadway Street Houston, Texas 77012 Telephone: 713/320-3785 FAX: 713/893-6737 E-mail: AttorneyKallinen@aol.com Attorney for Plaintiff CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing Motion was served in accordance with the Federal Rules of Civil Procedure and the ECF system of the U.S. Southern District of Texas on this the 6th day of February, 2012. Elizabeth L. Stevens, atty. Andrea Chan, atty. City of Houston Legal Department P.O. Box 368 Houston, Texas 77001-0368 BfB etÇwtÄÄ _A ^tÄÄ|ÇxÇ ____________________________________ Randall L. Kallinen AMENDMENT TO PLAINTIFF’S SUPPLEMENT TO 1st AMENDED ORIGINAL COMPLAINT Page 2

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?