Free Stipulation - District Court of Arizona - Arizona


File Size: 31.8 kB
Pages: 2
Date: October 24, 2006
File Format: PDF
State: Arizona
Category: District Court of Arizona
Author: unknown
Word Count: 370 Words, 2,368 Characters
Page Size: Letter (8 1/2" x 11")
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https://www.findforms.com/pdf_files/azd/35395/139.pdf

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TERRY GODDARD Attorney General CATHERINE M. BOHLAND Assistant Attorney General State Bar No. 022124 1275 West Washington Phoenix, Arizona 85007-2926 Telephone: (602) 542-4951 Fax: (602) 542-7670 [email protected] Attorneys for Defendants IN THE UNITED STATES DISTRICT COURT FOR THE STATE OF ARIZONA ANDRE ALMOND DENNISON, Plaintiff, v. CONRAD LUNA, et al., Defendants. STIPULATED PROPOSED STATEMENT OF THE CASE Case No: CIV 03-2373 PHX-SRB (JRI)

Plaintiff Dennison and Defendant James submit the following Stipulated Proposed Statement of the Case: Plaintiff, a prisoner in the Arizona Department of Corrections, has brought a 42 U.S.C § 1983 civil rights action alleging that Defendant James violated his First Amendment rights by retaliating against Plaintiff for accessing the courts to file a 42 U.S.C. § 1983 civil action lawsuit against Defendant James' colleague and/or friend, Jennifer Thelen. The Plaintiff seeks compensatory and punitive damages. Defendant denies Plaintiff's allegations that he retaliated against Plaintiff. Plaintiff failed to follow a direct order given by Defendant and consequently, Defendant used the amount of force reasonably necessary to enforce the inmate's compliance with prison rules and for the safe and orderly operation of the prison.

Case 2:03-cv-02373-SRB

Document 139

Filed 10/24/2006

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RESPECTFULLY SUBMITTED on this 24th day of October, 2006. TERRY GODDARD Attorney General

s/Catherine M. Bohland CATHERINE M. BOHLAND Assistant Attorney General Attorneys for Defendant

(Plaintiff refused signature) ANDRE ALMOND DENNISON1 Plaintiff Pro Se

#980243

Undersigned counsel had a telephonic conference with Plaintiff on October 23, 2006, wherein Plaintiff became upset with counsel and hung up the telephone. Prior to the end of the telephone call, undersigned counsel and Plaintiff agreed to the above Stipulated Proposed Statement of the Case. As such, Plaintiff's signature does not appear on the document, nor did he give undersigned counsel permission to add his signature. Undersigned counsel will forward a copy of this document to Plaintiff when it is filed with the Court.
Case 2:03-cv-02373-SRB Document 139 Filed 10/24/2006 Page 2 of 2

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