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1 PROCEEDINGS
4 please.
22 behalf of Plaintiffs.
25 behalf of Plaintiffs.
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6 division.
11 THE COURT: All right. And now those who are on the
21 General.
5 governor --
18 General.
24 General.
9 please.
17 microphone. Are you the one who filed the Motion to Intervene?
19 There are two copies here, one with the Plaintiff and one with
20 the Defendant.
24 Thank you.
13 are here for the Defendants, for the United States, from late
16 case.
22 not a joint proposal, but I have seen it. Thank you, sir.
1 have not only taken to heart the spirit and intent of Rule 1,
2 but we also have been very mindful of Your Honor's own statement
4 8th of April, that the parties to this litigation and indeed the
14 that was passed that has modified the terms of the Act itself,
23 14th?
11 wrong?
14 really will sound purely in law. To the extent that there might
16 those will be facts that are matters of public record and that
22 and that's pretty much reflected in what I've given Your Honor.
24 with regard to dates for -- I think the September 7th date for
4 that.
6 will present this point themselves, that the way they would
8 them and briefed and argued and decided, and then after that is
18 for Summary Judgment at any time. We also note that Rule 57,
5 together at the same time. And under our timing, we have -- the
25 from complying with those for the time being pending further
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12 resolved on briefing.
16 appellate setting?
19 this.
7 what the elements are and what the showing would have to be.
10 sense, I think the structure has some genuine merit to it, Your
11 Honor.
13 Mr. Gershengorn?
15 would say that we share a lot of the goals of Florida and the
16 Plaintiffs here.
25 largely for the reasons Your Honor mentioned that these are
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12 the right way to proceed, that that allows this Court to narrow
23 just note for the Court that we have some personal scheduling
4 like to see us move everything about one month up. I think that
9 then they would then use that time for the Motion for Summary
15 talking about the timing right now. I would like to see us move
19 have --
23 filed at any time, so it can be filed while, you know, while the
5 tricky.
10 think makes the most sense for Your Honor, but we certainly
15 -- 40 days to respond?
23 end of it. If I deny the motion, then you'll have 40 days from
4 THE COURT: Let me see how that jibes with the other
21 say that should be reduced for your reply time to about 14 days.
4 7th, and then August -- Your Honor was suggesting the 21st or --
6 would --
13 -- I'm sorry. Your Honor, are you talking about the briefing
19 their Motion for Summary Judgment at that same time, August 7th,
20 to which you would not have to respond until we deal with the
3 Dismiss.
11 days.
16 weekend here.
23 Saturday.
2 that this is all premised off of that May 14th amended complaint
3 filed?
7 that schedule.
9 that?
4 for relief and what they're asking for as a matter of law for
5 relief.
14 time I can't anticipate, but maybe the two of you can enlighten
15 me.
6 asked -- when we were asked by counsel for the United States how
11 were asked --
13 conference.
20 the motion. And the response that we got from them was that the
22 issues.
2 our causes of actions state legal claims for which relief can be
3 granted.
7 sent back to us with the idea in mind that we all thought -- and
10 of the apple first, and I think that's going to slow this entire
14 why our causes of action do not lie at law and they are really,
8 that.
10 Dismiss should -- when the Court has had the benefit of all of
15 discretion.
17 hearing that would address the Motion to Dismiss and the Motion
18 for Summary Judgment because we believe Your Honor will see that
22 the first place and why it came to emanate from the Department
23 of Justice.
7 please.
9 Winship made the same points, but all I was going to reiterate
12 Dismiss and our Motion for Summary Judgment, opportunity for you
17 benefits of laying out the full sets of briefs for you rather
19 palpable, given all the imperatives that Your Honor has laid
6 right?
13 possibilities.
22 deal with that. But again, I don't have a good, full grasp of
7 to Dismiss unfolds.
15 would be able to put on this. You can have one team working on
24 I think that Your Honor's one bite at a time is exactly the way
4 appropriate.
8 the Federal Rules provide for the Motion to Dismiss first, and
9 it's precisely to narrow the issues before the Court for the
10 benefit of judicial economy both for the Court and for the
13 brief, I'll just say I think that the schedule that's been set
17 have both the resources and the talent to meet Your Honor's
25 have to be taken that, when you blow away all the chaff, the
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7 proceed for all concerned. I think it sets the right tone and
12 Your Honor, so the approach that you have outlined so far has
13 worked and we think is the one better suited for this case.
23 complaint as well.
5 Dismiss would give you to August 6th. And they may file a
14 Dismiss fully aired and resolved one way or the other before we
22 argument date on the Motion to Dismiss soon after that, and I'm
25 Is that --
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4 early September.
7 are some -- it's not -- there are some Jewish holidays that come
11 calendar.
15 runs, well, through the remainder of that week, and Yom Kippur
23 on which date?
9 fine.
12 Motion to Dismiss.
17 we'll give you the biblical period then, 40 days from whenever
18 that comes for your response. And then there will be a reply,
21 you.
24 see where we are, but that will be set so that it's convenient
25 for everybody. All right. Have you got all of these dates?
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1 Okay.
15 that.
19 you one question, Your Honor, and I know that it would differ
1 or do you want --
11 thought that there was a need to have more than that, we would
18 suggestions.
23 that.
1 (Inaudible) --
13 Honor.
16 this case because both of you have indicated that the facts are
17 really not contested, not an issue and really not all that
16 appropriate.
21 nature.
7 there may be some. But assuming that there are none, we have
11 Mr. Winship?
16 counsel that are already in this case for the named plaintiffs
19 are very galvanized about this action that has been filed as
20 they are about the Act of Congress that has become law. It's
21 not at all our desire to squelch in any way the desire of the
24 such.
4 doing the best thing under the rule of law on behalf of the
16 sir.
19 THE COURT: And let me say that these are not just --
4 people.
9 suggest.
14 them are not complying with the rules, and the Court has been
17 seeing. I think we just have had one or two within the last few
13 rules, and let me make sure that I've got all of those
14 addressed.
17 same time would apply, and that would mean anybody who wants to
22 as a matter of course.
6 discovery that you see that you may want to do at some point.
11 mean, we can make this date as long as you want, but I would
14 well fixed.
20 see where we are after the Motion to Dismiss and have a brief
24 oral argument. If we need more time, just ask for it, and we'll
25 deal with it, but I don't contemplate that you will. So let's
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4 feels we have to have a date in. I just wanted to note that the
7 has ruled that you're not granting their motion and you're not
20 of ways, and the rules don't neatly fit it. But I would prefer
1 motions that you may contemplate filing other than the Motions
13 scheduling order, and it will come out this week. And it will
14 set out these dates and the procedure that we've outlined, and
18 can't seem to work it out between the two of you. I'm available
23 And you may have to spell your name so that our court reporter
6 Jan Brewer.
11 --------------------
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s/Donna L. Boland 5-19-10
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