Free Response to Motion - District Court of Delaware - Delaware


File Size: 41.9 kB
Pages: 5
Date: December 31, 1969
File Format: PDF
State: Delaware
Category: District Court of Delaware
Author: unknown
Word Count: 1,359 Words, 8,533 Characters
Page Size: Letter (8 1/2" x 11")
URL

https://www.findforms.com/pdf_files/ded/39053/16.pdf

Download Response to Motion - District Court of Delaware ( 41.9 kB)


Preview Response to Motion - District Court of Delaware
Case 1:07-cv-00643-GMS

Document 16

Filed 06/10/2008

Page 1 of 5

UNITED STATES DISTRICT COURT DISTRICT OF DELAWARE NINA SHAHIN, Plaintiff, v. STATE OF DELAWARE, and OFFICE OF MANAGEMENT AND BUDGET, Defendants. ) ) ) ) ) ) ) ) ) )

C.A. No. 07-643 GMS/LPS

STATE OF DELAWARE AND OFFICE OF MANAGEMENT AND BUDGET'S ANSWER OPPOSING PLAINTIFF'S MOTION TO JOIN OTHER PARTIES AND AMENDMENT OF PLEADINGS NOW COME Defendants the State of Delaware and the Office of Management and Budget ("State Defendants"), by and through counsel, and hereby oppose Plaintiff's Motion to Join Other Parties and Amendment of Pleadings, filed May 20, 2008 ("Motion") (D.I. 15) and state: 1. On October 16, 2007, Plaintiff filed her Complaint against the above State

Defendants, in which she alleges discrimination on the bases of national origin and age, concerning a 2006 application for a Senior Accounting position (posting #10-06-38) with the Office of Management and Budget. in which Plaintiff alleges her credentials were evaluated unreasonably low and an interview denied. (D.I. 2). 2. (D.I. 12). 3. This Honorable Court entered a Scheduling Order (D.I. 14), which On April 14, 2008, State Defendants filed their Answer to the Complaint.

includes the following deadlines: a. b. June 16, 2008: All motions to join parties and amend pleadings to be filed; October 16, 2008: All discovery to be completed; 1

Case 1:07-cv-00643-GMS

Document 16

Filed 06/10/2008

Page 2 of 5

c. 4.

December 16, 2008: All motions for summary judgment to be filed.

In her Motion, Plaintiff requests that: (a) all of her six lawsuits currently

pending against various, different agencies of the State of Delaware be joined into one lawsuit; (b) a new schedule for discovery for all of the lawsuits be established; and (c) her pleadings be amended to include the granting of relief as may be appropriate including injunctive orders, damages and costs. (D.I. 15). 5. Plaintiff's "motion to join" is, in reality, a Motion to Consolidate. Fed. R.

Civ. Pro. 42(a). A prerequisite to any consolidation of actions is a common question of law or fact. Abbott Diabetes Care, Inc. v. DexCom, Inc., 2007 WL 2892707 at 3 (D. Del. Sept. 30, 2007) (citation omitted); Tracinda Corp. v. DaimlerChrysler AG, 2001 WL 849736 at 1 (D. Del. July 26, 2001); Rohm and Haas Co. v. Mobil Oil Corp., 525 F.Supp. 1298 at 1309 (D. Del. 1981) "This rule affords the district court discretion concerning the purposes and scope of consolidation." Dow Chemical Co. v. Reinhard, 2007 WL 3379688 at 3 (E.D. Mich. Nov. 13, 2007) (citation omitted). 6. Plaintiff has made no allegation or argument or offered no reason as to the

basis for her request to consolidate her six lawsuits. (D.I. 15). Also, Plaintiff has not met any burden as to meeting the standard for consolidation, including the existence of "common questions of law or fact." Borough of Olyphant v. PPL Corp., 2005 WL 2673489 at 3 (3d Cir. Oct. 20, 2005) (moving party bears burden of proof); Dow Chemical, supra. Indeed, the facts differ with respect to each of Plaintiff's cases. In the case at bar, Plaintiff alleges age and national original discrimination concerning a Senior Accounting posting #10-06-38 with the Office of Management and Budget. Each of Plaintiff's cases involves different State agencies, different job postings, different applicants, different State employees as witnesses, and different facts concerning 2

Case 1:07-cv-00643-GMS

Document 16

Filed 06/10/2008

Page 3 of 5

Plaintiff's applications for employment.1

Clearly, evidence would be presented

concerning factual circumstances for this case that would not be relevant to Plaintiff's five other cases. Therefore, consolidation should be denied. Richardson v. U.S. Airways Group, Inc., et al., 2001 WL 849701 at 2 (E.D. Pa. July 16, 2001). 7. Additionally, consolidation would not provide expeditious results,

conservation of resources, or avoidance of inconsistent results. Dow Chemical, supra. The Office of Management and Budget is a State agency separate and apart from other State agencies. Because there are different State agencies and different positions at issue here, there will be different witnesses for each of the different positions for each of Plaintiff's lawsuits. To the contrary, consolidation would prevent expeditious results. 8. Further, consolidation here would produce an unreasonably complicated

trial that would prejudice the rights of the Office of Management and Budget. Richardson, supra. Different witnesses and their testimony for each of the different positions and lawsuits would be presented, and likely create confusion in the minds of potential jurors, which certainly outweighs the benefit of any possible convenience or economy to be obtained from consolidation. Id. Consolidating the actions would be highly prejudicial to the Office of Management and Budget here in that a jury may fail to realize that evidence by one witness in one case would not prove or disprove a contention in another of Plaintiff's several cases being tried at the same time. For example, there is one position that is the basis of Plaintiff's case here involving the Office of Management
1

The facts differ from Plaintiff's other pending suits against other State agencies. See, e.g., Shahin v. State of Delaware, Dept. of Transportation, C.A. No. 07-452 GMS (alleged age discrimination concerning Assistant Director Financial Management posting); Shahin v. State of Delaware, Dept. of Transportation, C.A. No. 07-641 GMS (alleged national origin and age discrimination for Accountant posting); Shahin v. State of Delaware, Dept. of Corporations, C.A. No. 07-642 GMS (alleged national origin and age discrimination for Corporate Administrator posting and five temporary positions of Corporate Assistants); Shahin v. State of Delaware, Dept. of Finance, C.A. No. 07-644 GMS (alleged national original and age discrimination from 2005-2006 for postings of Accountant II, Accountant IX (4 positions) and Accountant V); and Shahin v. State of Delaware, Dept. of Finance, C.A. No. 06-289 GMS (alleged age discrimination).

3

Case 1:07-cv-00643-GMS

Document 16

Filed 06/10/2008

Page 4 of 5

and Budget; however, there are at least three positions concerning Plaintiff's case against the Department of Finance in Shahin v. State of Delaware, Dept. of Finance, C.A. No. 07-644 GMS. 9. Last, this Honorable Court has already entered varying Scheduling Orders

concerning Plaintiff's cases or otherwise may be in different procedural postures. See, e.g., Shahin v. State of Delaware, Dept. of Finance, C.A No. 06-289 GMS.2 WHEREFORE, Defendants State of Delaware and Office of Management and Budget request that Plaintiff's Motion to Join Other Parties and Amendment of Pleadings be denied. Respectfully submitted, STATE OF DELAWARE DEPARTMENT OF JUSTICE /s/John B. Hindman_________ John B. Hindman (DE I.D. #35) Deputy Attorney General 102 West Water St., 3rd Floor Dover, DE 19904 (302) 739-7641 /s/ Laura L. Gerard Laura L. Gerard (DE I.D. #3202) Deputy Attorney General 820 North French Street, 6th Floor Wilmington, DE 19801 (302) 577-8400 Attorneys for State of Delaware and Office of Management and Budget Dated: June 10, 2008

2

This Honorable Court dismissed most of Plaintiff's claims in that case except to the extent Plaintiff is seeking prospective injunctive relief against the Dept. of Finance; a Motion for Reargument on that issue is pending. It appears that Plaintiff has an unfortunate history with this Court and the Courts of this State, including a recent award of attorney's fees against her for repeated, meritless litigation. Shahin v. Del-One Delaware Federal Credit Union, --- WL ----, No. 93-2007 (Del. June 9, 2008).

4

Case 1:07-cv-00643-GMS

Document 16

Filed 06/10/2008

Page 5 of 5

CERTIFICATE OF SERVICE I hereby certify that on June 10, 2008, I electronically filed the attached State of Delaware, Office of Management and Budget's Answer Opposing Plaintiff's Motion to Join Other Parties and Amendment of Pleadings, with the Clerk of Court using CM/ECF and mailed by United States Postal Service, the document(s) to the following nonregistered participants: By U.S. Mail, first class (2 copies): Ms. Nina Shahin 103 Shinnecock Rd. Dover, DE 19904 STATE OF DELAWARE DEPARTMENT OF JUSTICE /s/ Laura L. Gerard Laura L. Gerard (DE I.D. #3202) Deputy Attorney General Carvel State Office Building 820 North French Street, 6th Floor Wilmington, DE 19801 (302) 577-8400 [email protected]

5