Skip navigation
The Habeas Citebook Ineffective Counsel

PLN v. Chapman, et al., GA,Settlement, censorship, 2014

Download original document:
Brief thumbnail
This text is machine-read, and may contain errors. Check the original document to verify accuracy.
Case 3:12-cv-00125-CAR Document 105 Filed 10/20/14 Page 1 of 5

IN THE UNITED STATES DISTRICT COURT
FOR THE MIDDLE DISTRICT OF GEORGIA
ATHENS DIVISION
PRISON LEGAL NEWS, et al.,

)
)
Plaintiff,
)
)
v.
)CIVIL ACTION NO.: 3:12-CV-125-CAR
)
JOE CHAPMAN, et al.,
)
)
Defendants.
)
______________________________)
STIPULATION OF DISMISSAL OF
PLAINTIFF’S PROCEDURAL DUE PROCESS CLAIMS FOR DAMAGES
NOW

COME

the

parties,

by

and

through

their

counsel

of

record, and hereby stipulate and agree that plaintiff’s claim
for

damages

based

on

alleged

violations

of

procedural

due

process shall be and the same is hereby dismissed with prejudice
based upon the Settlement Agreement and Partial Release entered
into by and between the parties to this action, a copy of which
is attached and hereby incorporated by reference.
The Court retains jurisdiction to enforce the terms of the
attached Settlement Agreement and Partial Release, including but
not limited to the determination by this Court of Plaintiff’s
entitlement to attorneys’ fees and costs pursuant to 42 U.S.C. §
1988 following submissions by both parties addressing the issue.
The parties stipulate that Plaintiff shall have up to and
including

November

25,

2014

to

- 1 -

file

its

application

for

Case 3:12-cv-00125-CAR Document 105 Filed 10/20/14 Page 2 of 5

attorneys’ fees, Defendants shall have until January 5, 2015 to
file a response, and Plaintiff shall have until January 16, 2015
to file a reply to Defendants’ response.
Respectfully submitted,
/s/Lance
Lance T.
Admitted
Attorney

T. Weber
Weber
pro hac vice
for Plaintiff

Human Rights Defense Center
Post Office Box 1151
Lake Worth, Florida 33460
561-360-2523
866-735-7136 Fax
lweber@humanrightsdefensecenter.org

BEGNAUD & MARSHALL, LLP
/s/Andrew H. Marshall
Andrew H. Marshall
Georgia Bar No. 471450
Attorney for Defendants
1091-B Founders Boulevard
Post Office Box 8085
Athens, Georgia, 30603
(706)316-1150
(706)315-1153 fax
dmarshall@athens1867.com
CERTIFICATE OF SERVICE
This is to certify that I filed this document with the
Court’s CM/ECF system on October 20, 2014 which will send a copy
to all counsel of record.
/s/Andrew H. Marshall
Andrew H. Marshall

- 2 -

Case 3:12-cv-00125-CAR Document 105 Filed 10/20/14 Page 3 of 5

Case 3:12-cv-00125-CAR Document 105 Filed 10/20/14 Page 4 of 5

Case 3:12-cv-00125-CAR Document 105 Filed 10/20/14 Page 5 of 5
Disciplinary Self-Help Litigation Manual Side
CLN Subscribe Now Ad
The Habeas Citebook: Prosecutorial Misconduct Side