Filed: Mar. 12, 2014
Latest Update: Mar. 12, 2014
Summary: JOINT CASE MANAGEMENT PLAN FOR SOCIAL SECURITY CASES JOHN L. KANE, District Judge. 1. APPEARANCES OF COUNSEL AND PRO SE PARTIES For Plaintiff: RUTH K. IRVIN 595 Canyon Blvd. Boulder, CO 80302 (303) 543-0337 rkirvin@irvinlaw.net For Defendant: JOHN F. WALSH United States Attorney J. BENEDICT GARC A Assistant United States Attorney United States Attorney's Office District of Colorado THOMAS H. KRAUS Special Assistant United States Attorney Social Security Administration, Region VIII Of
Summary: JOINT CASE MANAGEMENT PLAN FOR SOCIAL SECURITY CASES JOHN L. KANE, District Judge. 1. APPEARANCES OF COUNSEL AND PRO SE PARTIES For Plaintiff: RUTH K. IRVIN 595 Canyon Blvd. Boulder, CO 80302 (303) 543-0337 rkirvin@irvinlaw.net For Defendant: JOHN F. WALSH United States Attorney J. BENEDICT GARC A Assistant United States Attorney United States Attorney's Office District of Colorado THOMAS H. KRAUS Special Assistant United States Attorney Social Security Administration, Region VIII Off..
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JOINT CASE MANAGEMENT PLAN FOR SOCIAL SECURITY CASES
JOHN L. KANE, District Judge.
1. APPEARANCES OF COUNSEL AND PRO SE PARTIES
For Plaintiff:
RUTH K. IRVIN
595 Canyon Blvd.
Boulder, CO 80302
(303) 543-0337
rkirvin@irvinlaw.net
For Defendant:
JOHN F. WALSH
United States Attorney
J. BENEDICT GARCÍA
Assistant United States Attorney
United States Attorney's Office
District of Colorado
THOMAS H. KRAUS
Special Assistant United States Attorney
Social Security Administration, Region VIII
Office of the General Counsel
1961 Stout St., Ste. 4169
Denver, CO 80294-4003
Telephone: (303) 844-0017
tom.kraus@ssa.gov
2. STATEMENT OF LEGAL BASIS FOR SUBJECT MATTER JURISDICTION
The Court has jurisdiction based on section 205(g) of the Social Security Act, 42 U.S.C. 405(g).
3. DATES OF FILING OF RELEVANT PLEADINGS
A. Date Complaint Was Filed: 12/16/13
B. Date Complaint Was Served on U.S. Attorney's Office: 12/23/13
C. Date Answer and Administrative Record Were Filed: 2/20/14
4. STATEMENT REGARDING THE ADEQUACY OF THE RECORD
Plaintiff states: Although Plaintiff's counsel will thoroughly review the Record, the accuracy and completeness of the Administrative Record cannot be ascertained until after Plaintiff's opening brief is finally drafted and filed.
Defendant states: To the best of his knowledge, the record is complete.
5. STATEMENT REGARDING ADDITIONAL EVIDENCE
Plaintiff states: See paragraph four above.
Defendant states: None anticipated.
6. STATEMENT REGARDING WHETHER THIS CASE RAISES UNUSUAL CLAIMS OR DEFENSES
Plaintiff states: This case involves no unusual claims.
Defendant states: This case does not involve unusual claims or defenses.
7. OTHER MATTERS
Plaintiff states: The record appears to be complete, but a final position by Plaintiff cannot be determined until the final draft of his opening brief is filed.
Defendant states: To the best of his knowledge, there are no other matters.
8. BRIEFING SCHEDULE
A. Plaintiff's Opening Brief Due: 4/30/14
B. Defendant's Response Brief Due: 6/4/14
C. Plaintiff's Reply Brief (If Any) Due: 6/18/14
9. STATEMENTS REGARDING ORAL ARGUMENT
A. Plaintiff's Statement: Oral Argument is requested only if necessary to clarify any outstanding issues.
B. Defendant's Statement: Oral Argument is not requested.
10. CONSENT TO EXERCISE OF JURISDICTION BY MAGISTRATE JUDGE
A. ( ) All parties have consented to the exercise of jurisdiction of a United States Magistrate Judge.
B. (X) All parties have not consented to the exercise of jurisdiction of a United States Magistrate Judge.
11. OTHER MATTERS
THE PARTIES FILING MOTIONS FOR EXTENSION OF TIME OR CONTINUANCES MUST COMPLY WITH D.C.COLO.LCivR 7.1(C) BY SUBMITTING PROOF THAT A COPY OF THE MOTION HAS BEEN SERVED UPON THE MOVING ATTORNEY'S CLIENT, ALL ATTORNEYS OF RECORD, AND ALL PRO SE PARTIES.
12. AMENDMENTS TO JOINT CASE MANAGEMENT PLAN
The parties agree that the Joint Case Management Plan may be altered or amended only upon a showing of good cause.