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Home Source documents Motion for Preliminary Injunction, State of New York et al. v. U.S. Department of Education, No. 1:25-cv-02990 (S.D.N.Y.), Doc. 10 (April 11, 2025)

Motion for Preliminary Injunction, State of New York et al. v. U.S. Department of Education, No. 1:25-cv-02990 (S.D.N.Y.), Doc. 10 (April 11, 2025)

Full text

        Case 1:25-cv-02990-ER              Document 10   Filed 04/11/25      Page 1 of 2




                         UNITED STATES DISTRICT COURT
                    FOR THE SOUTHERN DISTRICT OF NEW YORK


 STATE OF NEW YORK, et al.,

                             Plaintiffs,

        v.
                                                      Case No. 1:25-cv-02990 (ER)(BCM)
 U.S. DEPARTMENT OF EDUCATION, et
 al.,                                                 NOTICE OF MOTION

                             Defendants.



       PLEASE TAKE NOTICE that, upon the accompanying memorandum of law and

supporting declarations, Plaintiffs the State of New York, the State of Arizona, the State of

California, the State of Delaware, the District of Columbia, the State of Hawai‘i, the State of

Illinois, the State of Maine, the State of Maryland, the Commonwealth of Massachusetts, the

People of the State of Michigan, the State of Minnesota, the State of Nevada, the State of New

Jersey, the State of New Mexico, the State of Oregon, and Josh Shapiro, in his official capacity as

Governor of the Commonwealth of Pennsylvania, will move this Court before the Honorable

Edgardo Ramos, United States District Judge, at the Thurgood Marshall United States Courthouse

for the Southern District of New York, 40 Foley Square, New York, NY 10007, on a date set by

the Court, for an order pursuant to Federal Rule of Civil Procedure 65(a) granting their motion for

a preliminary injunction against Defendants United States Department of Education and Linda

McMahon, sued in her official capacity as Secretary of the United States Department of Education,

and such other and further relief as the Court deems necessary and appropriate.
        Case 1:25-cv-02990-ER         Document 10   Filed 04/11/25   Page 2 of 2




Dated: New York, New York
       April 11, 2025

                                                      LETITIA JAMES
                                                      ATTORNEY GENERAL OF NEW YORK

                                                      By: /s Andrew Amer
                                                      Andrew Amer
                                                        Special Counsel
                                                      Molly Thomas-Jensen
                                                        Special Counsel
                                                      Rabia Muqaddam
                                                        Special Counsel for Federal
                                                      Initiatives
                                                      Stephen C. Thompson
                                                        Assistant Attorney General
                                                      28 Liberty Street
                                                      New York, NY 10005
                                                      (212) 416-6127
                                                      andrew.amer@ag.ny.gov

                                                      Counsel for the State of New York


cc: All Counsel of Record (via ECF)


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