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Padilla v. US Immigration and Customs Enforcement, 2:18-cv-928 MJP. (2019)

Court: District Court, D. Washington Number: infdco20190708592 Visitors: 9
Filed: Jun. 28, 2019
Latest Update: Jun. 28, 2019
Summary: JOINT STIPULATION AND [PROPOSED] ORDER REGARDING PRELIMINARY INJUNCTION IMPLEMENTATION MARSHA J. PECHMAN , District Judge . Pursuant to Local Civil Rules 7(d)(1) and 10(g), Plaintiffs and Defendants hereby stipulate and jointly move the Court for an Order staying implementation of the preliminary injunction, entered by this Court on April 5, 2019, by an additional week, until July 8, 2019. 1 Currently, the hearing on the motions is set for Friday, June 28, 2019, and the injunction i
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JOINT STIPULATION AND [PROPOSED] ORDER REGARDING PRELIMINARY INJUNCTION IMPLEMENTATION

Pursuant to Local Civil Rules 7(d)(1) and 10(g), Plaintiffs and Defendants hereby stipulate and jointly move the Court for an Order staying implementation of the preliminary injunction, entered by this Court on April 5, 2019, by an additional week, until July 8, 2019.1

Currently, the hearing on the motions is set for Friday, June 28, 2019, and the injunction implementation date is Monday, July 1, 2019 (the next business day). The parties respectfully move for this stay in light of the upcoming hearing on Defendants' motion to vacate the injunction and Plaintiffs' motion to modify the injunction, in order to provide certainty as to the implementation date and avoid unnecessary confusion that would result from implementing an injunction that would soon be vacated or modified. Should this Court rule on the motion to vacate and motion to modify prior to July 8, the parties would be bound by that order and any vacatur or timeline for implementing a modified injunction, and not this stipulation.

RESPECTFULLY SUBMITTED this 25th day of June, 2019. s/ Matt Adams Kristin Macleod-Ball* Matt Adams, WSBA No. 28287 Trina Realmuto* Email: matt@nwirp.org AMERICAN IMMIGRATION COUNCIL Leila Kang, WSBA No. 48048 1318 Beacon Street, Suite 18 Email: leila@nwirp.org Brookline, MA 02446 (857) 305-3600 Aaron Korthuis, WSBA No. 53974 trealmuto@immcouncil.org Email: aaron@nwirp.org kmacleod-ball@immcouncil.org NORTHWEST IMMIGRANT Judy Rabinovitz* RIGHTS PROJECT Michael Tan* 615 Second Avenue, Suite 400 Anand Balakrishnan* Seattle, WA 98104 Telephone: (206) 957-8611 ACLU IMMIGRANTS' RIGHTS PROJECT Facsimile: (206) 587-4025 125 Broad Street, 18th floor Attorneys for Plaintiffs-Petitioners New York, NY 10004 (212) 549-2618 *Admitted pro hac vice Attorneys for Plaintiffs-Petitioners JOSEPH. H. HUNT /s/ Lauren C. Bingham Assistant Attorney General LAUREN C. BINGHAM, Fl. Bar #105745 Civil Division Trial Attorney, District Court Section Office of Immigration Litigation WILLIAM C. PEACHEY Civil Division Director, District Court Section P.O. Box 868, Ben Franklin Station Office of Immigration Litigation Washington, DC 20044 (202) 616-4458; (202) 305-7000 (fax) EREZ REUVENI lauren.c.bingham@usdoj.gov Assistant Director, District Court Section Office of Immigration Litigation ARCHITH RAMKUMAR Trial Attorney SARAH S. WILSON Assistant United States Attorney Attorneys for Defendants-Respondents

ORDER

Based on the foregoing stipulation of the parties, IT IS SO ORDERED. Compliance with the preliminary injunction is STAYED until July 8, 2019.

FootNotes


1. By rule, the parties cannot further extend the deadline for filing an appeal, and the operative deadline to appeal the injunction is July 5, 2019. See ECF 129.
Source:  Leagle

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