Free Joint Status Report - District Court of Federal Claims - federal


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Date: December 31, 1969
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Case 1:03-cv-00600-EJD

Document 55

Filed 09/06/2007

Page 1 of 3

IN THE UNITED STATES COURT OF FEDERAL CLAIMS No. 03-600-L CHEYENNE RIVER SIOUX TRIBE, et al. Plaintiffs, vs. THE UNITED STATES OF AMERICA, Defendant. ___________________________________ ) ) ) ) ) ) ) ) ) ) ) )

Chief Judge Edward J. Damich

____________________________________ JOINT STATUS REPORT _____________________________________ Pursuant to the Court's Order of August 31, 2007, setting the pretrial conference for April 16, 2008, and the trial date for May 28, 2008, the parties hereby submit this joint status report. The parties jointly request that the Court set the pretrial schedule as follows: Trial Prep. Order 2.a.i.(3) 2.a.ii. Tasks Date

Plaintiffs Complete Production of Proposed Trial Exhibits Defendant's (1) Response to Plaintiffs' Proposed Findings of Fact; (2) Proposed Additional Findings of Fact; (3) Witness List; (4) Exhibit List; (5) Exhibits Plaintiffs' (1) Response to Defendant's Proposed Additional Findings of Fact; (2) Rebuttal Proposed Findings of Fact; (3) List of Rebuttal Witnesses; (4) List of Rebuttal Exhibits, with
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09/25/2007 10/15/2007

2.a.iii.

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Explanation 2.b. 2.c.i. Meeting of Counsel (1) Joint Statement of Good Faith Conduct; (2) Joint Notice of Proposed Procedures for Sequestration; (3) Motions to Present Substantive Evidence by Way of Depositions; (4) Objections/Motions in Limine Regarding the Opposing Party's Witnesses and Exhibits (1) Objections to Motions to Present Substantive Evidence by Way of Depositions; (2) Joint Stipulation of Facts; (3) Joint Stipulation of Witnesses; (4) Joint Stipulation of Exhibits; (5) Findings of Fact Other than Stipulated Findings; (6)Final Witness Lists; (7) Final Exhibit Lists Plaintiffs' Memorandum of Fact and Law Defendant's Responsive Memorandum of Fact and Law Pre-trial conference Trial 12/01/2007 01/01/2008

2.c.ii.

02/05/2008

2.c.iii.(1) 2.c.iii.(2)

02/15/2008 03/01/2008 04/16/2008 05/28/200806/10/2008

Dated: September 6, 2007.

Respectfully submitted,

s/ J. Crisman Palmer J. CRISMAN PALMER 440 Mt. Rushmore Rd. P. O. Box 8045 Rapid City, SD 57709 Tele (605) 342-1078 Fax (605) 342-9503 [email protected]

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Counsel for Plaintiffs

MATTHEW J. McKEOWN Acting Assistant Attorney General Environmental & Natural Resources Division s/ Susan V. Cook by s/ J. Crisman Palmer SUSAN V. COOK, Senior Attorney JAMES D. GETTE, Trial Attorney Natural Resources Section Environment & Natural Resources Division United States Department of Justice P.O. Box 663 Washington, D.C. 20044 Tele (202) 305-0470 Fax (202) 305-0506 [email protected]

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