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Brief • September 9, 2008
Filed under: Exercise, Visiting
claims for permanent injunctive relief are DISMISSED sua sponte, pursuant to 28 U.S.C. § 1915(e)(2)(B)(ii) and Fed. R. Civ. P. 12(b)(6), for failure to state a claim on which relief can be granted; 5 ...
Brief • October 4, 2013
Plaintiff Koger nominal monetary damages ($1.00) for the violation of his First Amendment rights; and e. Award such other and further relief as this Court may deem appropriate and equitable. Plaintiff demands ...
Brief • March 11, 2015
, we have sought Defendants’ cooperation in tour management to tell us when and where activities are expected to occur, so that the tours can be as short as possible. (Galvan Dec. Exhs. A, C, E, G, J, M ...
Brief • July 20, 2011
Filed under: Discovery
items. Mount Hope contends 15 that a number of Movants’ billable entries lack sufficient detail, the bulk of which entail 16 conference calls, e-mails, and conversations between Riseup’s attorney ...
Brief • March 9, 2016
for the lewd comment. e. Inside the chapel, numerous officers watched as S.S. was assaulted with a baton while S.S. was compliant, kneeling on the floor, and not posing a threat to anyone. f. Upon learning ...
Rasho et al v. Walker et al, IL, Plf Motion to Compel Def to allow inspection, expert review of medical and segregation units, 2015 1:07-cv-01298-MMM # 265 Page 1 of 6 E-FILED Friday, 09 October ...
Brief • December 22, 2015
Filed under: Telephones, Telephone Rates
to address the unique needs of infrastructure industries and, in particular, to assist clients in managing the regulatory framework often surrounding these industries. This FTI effort was led by Steven E ...
Brief • August 9, 2011
Constitution; e. Plaintiff’s right to due process of law, as protected by the Fourteenth Amendment of the United States Constitution. THEREFORE, for all above reasons, plaintiff requests that this Court ...
A. Engler, Chief Assistant Attorney General, Lance E. Winters, Senior Assistant Attorney General, Steve Mercer, Timothy L. O’Hair and Viet H. Nguyen Deputy Attorneys General, for Plaintiff and Respondent ...
Brief • November 20, 2017
not materially assist in the determination of Amir H. Ali, Roderick & Solange MacArthur Justice Center, Washington, D.C., for Plaintiff-Appellant. Stefanie E. Lawson, Assistant Attorney General, Oklahoma Attorney ...
and voluntarily intends to be legally bound by the same. This Agreement has been entered into voluntarily and not as a result of coercion, duress, or undue influence. (e) Was advised and hereby is advised ...
Brief • July 6, 2016
-4950 Facsimile: (559) 737-4319 E-mail: kstimmel@co.tulare.ca.us 8 9 Attorneys for Defendant County of Tulare UNITED STATES DISTRICT COURT EASTERN DISTRICT OF CALIFORNIA 10 11 12 15 16 17 STIPULATION ...
Brief • February 24, 2017
Filed under: PLN Litigation, Censorship
to any prisoner at the PCPSC for any reason, the PCPSC shall place into the mail written notice and an administrative appeal process to the sender within three (3) b u s i n e s s days of making an initial ...
to resolve any objections that Plaintiffs may have regarding Defendants’ 12 proposed plan. 13 e. If, following the meet-and-confer session, the parties are in agreement 14 regarding the plan, the parties ...
. See id. at 5-6, 54-57. 24 25 26 27 28 e. Manipulating the manner in which scheduled appointments and missed appointments are reported. See id. at 7-8, 35-47, 62-63. 1 The page numbers in this order ...
Brief • March 23, 2020
, e.g., Adkisson v. Paxton, 459 S.W.3d 761 (Tex. App.—Austin 2015, no pet.) (“[W]e use the terms ‘collected, assembled, or maintained’ [as used in the TPIA] interchangeably for purposes of this opinion ...
Brief • February 17, 2016
reports and discovery cutott date might facilitate the timely resolution of the matter at tiamL Tlierefo1·e, Plaintiffs' Motion for the Entry Scheduling Order shall also be GRANTED. The parties have fifteen ...
-'....._.......,.._... .~=----.,;i,.,fore me this _ _ day of y-rrr\ •2016. '2. NOTARYPIC'in and the o Washington, r e s i d i n g ~ ~ My commission expires:~• flP • NIKKI LYNN BECK Date: _ _ _ _ _ _ _ _ _ _ _ __ STATE ...
Brief • February 21, 2017
MENDEZ, P.C. 1205 E. Yandell El Paso, Texas 79902 (915) 626-5036 (915) 626-S011 (Facsimile) jmendez@Mendezlawpc.com By: Isl Jessica Mendez JESSICA MENDEZ New Mexico Bar No. 23139 Attorney for Plaintiff ...
All agreements and understandings between the parties are embodied and (e) expressed herein and the term~ of this Release are contractual and nof a mere recital. This Release constitutes the entire ...
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