Order (2021-06-17)
- Date
- 2021-06-17
Summary
A joint notice of compliance with court order filed August 19, 2021 as Document 131 in Lucas Wall v. Centers for Disease Control and Prevention, et al., Case No. 6:21-cv-00975-PGB-DCI, in the U.S. District Court for the Middle District of Florida, Orlando Division. The plaintiff, who appears pro se, and the defendants, including the Centers for Disease Control and Prevention, Joseph Biden in his official capacity, the Greater Orlando Aviation Authority and the Central Florida Regional Transportation Authority, certify that they conferred as directed by the Order dated June 17, 2021 (Doc. 30). They state that the action falls under the exception in Local Rule 3.02(d)(2) for review on an administrative record, so no case management conference or case management report is required at this time. The four-page notice closes with counsel signature blocks and a certificate of service.
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Case 6:21-cv-00975-PGB-DCI Document 131 Filed 08/19/21 Page 1 of 4 PageID 4738
UNITED STATES DISTRICT COURT
MIDDLE DISTRICT OF FLORIDA
ORLANDO DIVISION
LUCAS WALL,
Plaintiff,
vs. CASE NO.: 6:21-CV-00975-PGB-DCI
CENTERS FOR DISEASE CONTROL
AND PREVENTION; DEPARTMENT OF
HEALTH AND HUMAN SERVICES;
TRANSPORTATION SECURITY
ADMINISTRATION; DEPARTMENT OF
HOMELAND SECURITY; DEPARTMENT
OF TRANSPORTATION; JOSEPH BIDEN,
in his official capacity as President of the
United States of America; GREATER
ORLANDO AVIATION AUTHORITY; and
CENTRAL FLORIDA REGIONAL
TRANSPORTATION AUTHORITY,
Defendants.
/
JOINT NOTICE OF COMPLIANCE WITH COURT
ORDER [DOC. 30] REGARDING DETERMINATION
OF EXEMPTION TO FILING CASE MANAGEMENT REPORT
Plaintiff, Lucas Wall, and Defendants, Centers for Disease Control and
Prevention, Department of Health and Human Services, Transportation Security
Administration, Department of Homeland Security, Department of
Transportation, Joseph Biden, in his official capacity as President of the United
States Of America, Greater Orlando Aviation Authority, and Central Florida
Regional Transportation Authority, hereby certify that, in compliance with this
Court’s directions in the Order dated June 17, 2021 (Doc. 30), they have consulted
Case 6:21-cv-00975-PGB-DCI Document 131 Filed 08/19/21 Page 2 of 4 PageID 4739
Local Rule 3.02 and conferred with each other, and have determined that this
action falls under the exception in Local Rule 3.02(d)(2): an action for review on
an administrative record that is not under the Employee Retirement Income
Security Act of 1974. Accordingly, pursuant to Local Rule 3.02(a), no case
management conference or case management report is required of the parties at
this time.
Respectfully submitted,
/s/ Lucas Wall /s/ Sally R. Culley
Lucas Wall Daniel J. Gerber
E-mail: lucas.wall@yahoo.com Florida Bar No.: 0764957
435 10th St NE E-mail: dgerber@rumberger.com
Washington, DC 20002 Suzanne Barto Hill
Tel: 202.351.1735 Florida Bar No.: 0846694
E-mail: shill@rumberger.com
Plaintiff, Pro Se Sally Rogers Culley
Florida Bar No.: 0095060
E-mail: sculley@rumberger.com
Patrick M. Delaney
Florida Bar No.: 85824
E-mail: pdelaney@rumberger.com
Rumberger, Kirk & Caldwell, P.A.
300 South Orange Avenue, Suite 1400
Orlando, Florida 32801
Tel: 407.872.7300
Fax: 407.841.2133
Attorneys for Defendant, Greater
Orlando Aviation Authority
2
Case 6:21-cv-00975-PGB-DCI Document 131 Filed 08/19/21 Page 3 of 4 PageID 4740
/s/ Stephen M. Pezzi /s/ David S. Wood
Marcia K. Sowles David S. Wood
Senior Trial Counsel Florida Bar No.: 289515
Stephen Michael Pezzi E-mail: david.wood@akerman.com
Trial Attorney Monica M. Kovecses
E-mail: stephen.pezzi@usdoj.gov Florida Bar No. 105382
United States Department of Justice E-mail: monica.kovecses@akerman.com
Civil Division Akerman LLP
Federal Programs Branch Post Office Box 231
1100 L Street NW Orlando, FL 32802-0231
Washington, DC 20005 Tel: 407.423.4000
Tel: 202.305.8576 Fax: 407.843-6610
Adam R Smart Attorneys for Defendant, Central Florida
Assistant United States Attorney Regional Transportation Authority
E-mail: adam.smart@usdoj.gov
United States Attorney's Office
400 W. Washington St., Suite 3100
Orlando, FL 32801
Tel: 407.648-7500
Attorneys for Defendants, Centers for
Disease Control & Prevention,
Department of Health & Human
Services, Transportation Security
Administration, Department of
Homeland Security, Department
of Transportation and Joseph
Biden, in his official capacity as
President of the United States
3
Case 6:21-cv-00975-PGB-DCI Document 131 Filed 08/19/21 Page 4 of 4 PageID 4741
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on August 19, 2021, I electronically filed the
foregoing with the Clerk of the Court by using the CM/ECF system, which will send
a notice of electronic filing to any attorneys of record and to Plaintiff, Lucas Wall.
/s/ Sally R. Culley
SALLY ROGERS CULLEY
Florida Bar No.: 0095060
E-mail: sculley@rumberger.com
RUMBERGER, KIRK & CALDWELL, P.A.
300 South Orange Avenue, Suite 1400
Orlando, Florida 32801
Tel: 407.872.7300 / Fax: 407.841.2133
Attorneys for Defendant,
Greater Orlando Aviation Authority
4
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