Court filing
Notice of Supplemental Authority (Oct. 2021) — Wall v. CDC
Filed October 20, 2021 in Wall v. CDC; one of 35 filings from this case.
Record facts
| Court | U.S. District Court for the Middle District of Florida (Orlando Division) |
|---|---|
| Filed | 2021-10-20 |
U.S. District Court for the Middle District of Florida (Orlando Division) · No. 6:21-cv-00975-PGB-DCI · Doc. 160 · 2021-10-20 · Docket on CourtListener
Full text
1 UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF FLORIDA ORLANDO DIVISION LUCAS WALL, : : Plaintiff, : Case No. 6:21-cv-975-PGB-DCI : v. : District Judge Paul Byron : CENTERS FOR DISEASE : Magistrate Judge Daniel Irick CONTROL & PREVENTION et al. : : Defendants. : PLAINTIFF’S NOTICE OF SUPPLEMENTAL AUTHORITY COMES NOW plaintiff, pro se, pursuant to Local Rule 3.01(i), and advises the Court to please TAKE NOTICE of supplemental authority in support of my Motion for Summary Judgment Against All Federal Defendants on Counts 1, 4-6, 9, 12, 19, & 22-23 of the Complaint. Doc. 83; amended at Doc. 127-1. 1. A Citation of the Authority: Alabama Ass’n of Realtors v. HHS, U.S. Supreme Court No. 21A23 (Aug. 26, 2021). 2. A Specification by Page of the Issue or Argument in the Earlier Paper that the Authority Supplements: Doc. 127-1 at 5-15. 3. A Succinct Quotation from the Authority: “It would be one thing if Congress had specifically authorized the action that the CDC has taken. But that has not happened. Instead, the CDC has imposed a nationwide moratorium on evic- tions in reliance on a decades-old statute that authorizes it to implement Case 6:21-cv-00975-PGB-DCI Document 160 Filed 10/20/21 Page 1 of 2 PageID 4927 2 measures like fumigation and pest extermination. It strains credulity to be- lieve that this statute grants the CDC the sweeping authority that it asserts. … Regulations under this authority have generally been limited to quarantining infected individuals and prohibiting the import or sale of animals known to transmit disease. … the sheer scope of the CDC’s claimed authority under [Public Health Service Act] § 361(a) would counsel against the Government’s interpretation.” Respectfully submitted this 20th day of October 2021. Lucas Wall, plaintiff 435 10th St., NE Washington, DC 20002 Telephone: 202-351-1735 E-Mail: Lucas.Wall@yahoo.com Case 6:21-cv-00975-PGB-DCI Document 160 Filed 10/20/21 Page 2 of 2 PageID 4928
File and source
- File
- gov.uscourts.flmd.390847.160.0.pdf
- Size
- 156,103 bytes
- SHA-256
- 1b2e0473997718baf03b48e7b544ad1f7e1452e0bf48659051f6a038f23017bb
- Original
- archive.org