Case Document 78 Filed 10/03/18 Page 1 of 4 Case Document 77 Filed 10/01/18 Page 1 of 4 The Honorable Marsha J. Pechman UNITED STATES DISTRICT COURT WESTERN DISTRICT OF WASHINGTON AT SEATTLE YOLANY PADILLA, on behalf of herself and her 6-year-old son IBIS GUZMAN, on behalf of herself and her No. 2:18-cv-928 MJP 5-year-old son BLANCA ORANTES, on behalf of herself and her 8-year-old son BALTAZAR VASQUEZ, on behalf of himself; JOINT STIPULATION Plaintiffs-Petitioners, AND v. ORDER REGARDING MOTION FOR U.S. IMMIGRATION AND CUSTOMS ENFORCEMENT PRELIMINARY U.S. DEPARTMENT OF HOMELAND INJUNCTION BRIEFING SECURITY U.S. CUSTOMS AND BORDER SCHEDULE PROTECTION U.S. CITIZENSHIP AND IMMIGRATION SERVICES EXECUTIVE OFFICE FOR IMMIGRATION REVIEW NOTE ON MOTION THOMAS HOMAN, Acting Director of KIRSTJEN CALENDAR: OCTOBER NIELSEN, Secretary of KEVIN K. 1, 2018. 'Acting Commissioner of L. FRANCIS CISSNA, Director of MARC J. MOORE, Seattle Field Of?ce Director, ICE, JEFFERSON BEAUREGARD SESSIONS 111, United States Attorney General; LOWELL CLARK, warden of the Northwest Detention Center in Tacoma, Washington; CHARLES INGRAM, warden of the Federal Detention Center in SeaTac, Washington; DAVID SHINN, warden of the Federal Correctional Institute in Victorville, California; JAMES JANECKA, warden of the Adelanto Detention Facility; Defendants?Respondents. Pursuant to Local Civil Rules and 10(g), Plaintiffs and Defendants hereby stipulate and jointly move the Court for an Order revising the schedule for the ?ling of Defendants? response in opposition to Plaintiffs? motion for preliminary injunction, and Plaintiffs? reply in support of their motion. Currently Defendants? response to Plaintiffs? motion for preliminary injunction is due October 8, 2018, which is the Columbus Day holiday, and Plaintiffs? reply is October 12, 2018. JOINT STIPULATION AND. U.S. Department ofJustice, Civil Division ORDER REGARDING MOTION FOR Of?ce of Immigration Litigation, District Court Section PRELIMINARY INJUNCTION BRIEFING PO Box 868, Ben Franklin Station SCHEDULE - 1 Washington, DC 20044 CASE NO. 2:18-cv-928 MJP Telephone (202) 616-4458 Case Document 78 Filed 10/03/18 Page 2 of 4 Case Document 77 Filed 10/01/18 Page 2 of 4 After consultation between the parties? counsel, the parties stipulate to an extension until October 17, 2018, for Defendants to ?le their response to Plaintiffs? motion, and an extension until October 26, 2018, for Plaintiffs? to ?le their reply in support of their motion. Plaintiffs will re?note their motion for October 26, 2018. The reason for this stipulation is to allow both sides suf?cient time to brief these important issues thoroughly for the Court. This requested extension will not impact any other deadlines in the case. RESPECTFULLY SUBMITTED this day of October, 2018. 5/ Matt Adams . Matt Adams, WSBA No. 28287 K1?_15tll?l Macleod-Ball* Email: matt@nwirp.0rg Trma Realmuto* Glenda M. Aldana Madrid, WSBA No. 46987 AMERICAN IMMIGRATION COUNCIL Email: glenda@nwirp_org 100 Summer Street, 23rd Floor Boston, MA 02110 Leila Kang, WSBA No. 48048 (857) 305-3600 . Email: leila@nwirp.org trealmuto@1mmcounc1l.org NORTHWEST IMMIGRANT RIGHTS PROJECT *Adrnitted pro hac vice 615 Second Avenue, Suite 400 Seattle, WA 98104 Attorneys for Plainti?fs-Petitioners Telephone: (206) 957-8611 Facsimile: (206) 587-4025 Attorneys for Plaintiffs-Petitioners JOSEPH. H. HUNT Lauren C. Bing/1am Assistant Attorney General LAUREN C. BINGHAM, 1. Bar #105745 Civil Division Trial Attorney, District Court Section Of?ce of Immigration Litigation WILLIAM C. PEACHEY Civil Division Director, District Court Section PO. Box 868, Ben Franklin Station Of?ce of Immigration Litigation Washington, DC 20044 (202) 616-4458; (202) 305-7000 (fax) EREZ REUVENI lauren.c.bingham@usdoj. gov Assistant Director, District Court Section Of?ce of Immigration Litigation Attorneys for Defendants-Respondents JOINT STIPULATION AND US. Department of Justice, Civil Division ORDER REGARDING MOTION FOR Of?ce of Immigration Litigation, District Court Section PRELIMINARY INJUNCTION BRIEFING PO Box 868, Ben Franklin Station SCHEDULE - 2 Washington, DC 20044 CASE NO. MJP Telephone (202) 616-445 8 Case Document 78 Filed 10/03/18 Page 3 of 4 Case Document 77 Filed 10/01/18 Page 3 of 4 ORDER Based on the foregoing stipulation of the parties, IT IS SO ORDERED. Defendants? response to Plaintiffs? motion for preliminary injunction will be due October 17, 2018. Plaintiffs? reply to their motion for preliminary injunction will be due October 26, 2018, and their motion will be noted for that date. DATED this\? day of ,2018. THE HONORABL MARSHA J. PECHMAN UNITED STATES ISTRICT JUDGE JOINT STIPULATION AND US. Department of Justice, Civil Division ORDER REGARDING MOTION FOR Of?ce of Immigration Litigation, District Court Section PRELIMINARY INJUNCTION BRIEFING PO Box 868, Ben Franklin Station Washington, DC 20044 SCHEDULE - 3 CASE No. 2:18-cv-928 MJP Telephone (202) 616-4458 @630le Case Document 78 Filed 10/03/18 Page 4 of 4 Case Document 77 Filed 10/01/18 Page 4 of 4 CERTIFICATE OF SERVICE I hereby certify that on October 1, 2018, I had the foregoing electronically ?led with the Clerk of the Court using the system, which will send noti?cation of such ?ling to those attorneys of record registered on the system. All other parties (if any) shall be served in accordance with the Federal Rules of Civil Procedure. Lauren C. Bing/?am LAUREN C. BINGHAM, Fl. Bar #105745 Trial Attorney, District Court Section Of?ce of Immigration Litigation Civil Division PO. Box 868, Ben Franklin Station Washington, DC 20044 (202) 616-4458; (202) 305-7000 (fax) lauren.c.bingham@usdoi . gov Attorney for Defendants JOINT STIPULATION AND US. Department of Justice, Civil Division ORDER REGARDING MOTION FOR Of?ce of Immigration Litigation, District Court Section PRELIMINARY INJUNCTION BRIEFING PO Box 868, Ben Franklin Station SCHEDULE - 4 Washington, DC 20044 CASE NO. 2:18-cv-928 MJP Telephone (202) 616-4458