CARL v. COLVIN, 1:13-cv-03146-AP. (2014)
Court: District Court, D. Colorado
Number: infdco20140402875
Visitors: 14
Filed: Apr. 01, 2014
Latest Update: Apr. 01, 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 : Tracy Stewart Stewart Law Offices, P.C. 123 N. College Ave., Ste. 200 Fort Collins, CO 80524 970-402-9584 866-224-4944 (fax) tracy@stewart-law-offices.com For Defendant : John F. Walsh United States Attorney J. Benedict Garc a Assistant United States Attorney United States Attorney's Office District of Colorado J.B.Garcia@usdoj.gov Alexess D. Re
Summary: JOINT CASE MANAGEMENT PLAN FOR SOCIAL SECURITY CASES JOHN L. KANE, District Judge. 1. APPEARANCES OF COUNSEL AND PRO SE PARTIES For Plaintiff : Tracy Stewart Stewart Law Offices, P.C. 123 N. College Ave., Ste. 200 Fort Collins, CO 80524 970-402-9584 866-224-4944 (fax) tracy@stewart-law-offices.com For Defendant : John F. Walsh United States Attorney J. Benedict Garc a Assistant United States Attorney United States Attorney's Office District of Colorado J.B.Garcia@usdoj.gov Alexess D. Rea..
More
JOINT CASE MANAGEMENT PLAN FOR SOCIAL SECURITY CASES
JOHN L. KANE, District Judge.
1. APPEARANCES OF COUNSEL AND PRO SE PARTIES
For Plaintiff:
Tracy Stewart
Stewart Law Offices, P.C.
123 N. College Ave., Ste. 200
Fort Collins, CO 80524
970-402-9584
866-224-4944 (fax)
tracy@stewart-law-offices.com
For Defendant:
John F. Walsh
United States Attorney
J. Benedict García
Assistant United States Attorney
United States Attorney's Office
District of Colorado
J.B.Garcia@usdoj.gov
Alexess D. Rea
Special Assistant United States Attorney
1961 Stout, Suite 4169
Denver, Colorado 80294-4003
303-844-7101
303-844-0770 (fax)
Alexess.rea@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: 11/19/13
B. Date Complaint Was Served on U.S. Attorney's Office: 01/13/14
C. Date Answer and Administrative Record Were Filed: 03/12/14
4. STATEMENT REGARDING THE ADEQUACY OF THE RECORD
The parties state that the administrative record appears to be complete and accurate.
5. STATEMENT REGARDING ADDITIONAL EVIDENCE
Neither party intends to submit additional evidence.
6. STATEMENT REGARDING WHETHER THIS CASE RAISES UNUSUAL CLAIMS OR DEFENSES
Neither party contemplates unusual claims or defenses.
7. OTHER MATTERS
The parties are not aware of any other matters at this time.
8. BRIEFING SCHEDULE
A. Plaintiff's Opening Brief Due: May 12, 2014
B. Defendant's Response Brief Due: June 11, 2014
C. Plaintiff's Reply Brief (If Any) Due: June 26, 2014
9. STATEMENTS REGARDING ORAL ARGUMENT
A. Plaintiff's Statement.
Plaintiff does not request oral argument.
B. Defendant's Statement:
Defendant does not request oral argument.
10. CONSENT TO EXERCISE OF JURISDICTION BY MAGISTRATE JUDGE
Indicate below the parties' consent choice.
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. AMENDMENTS TO JOINT CASE MANAGEMENT PLAN
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.
The parties agree that the Joint Case Management Plan may be altered or amended only upon a showing of good cause.
Source: Leagle