Case 3:18-cv-00428-DMS-MDD Document 339 Filed 12/26/18 PageID.5168 Page 1 of 5 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA M.G.U, et al. Plaintiffs, v. KIRSTJEN NIELSEN, et al., Defendants. ) ) ) ) ) ) ) ) ) ) No. 1:18-cv-01458 (PLF) UNOPPOSED MOTION FOR A STAY OF CASE DEADLINES IN LIGHT OF LAPSE OF APPROPRIATIONS Defendants hereby move for a stay of all case deadlines in the abovecaptioned case. 1. At the end of the day on December 21, 2018, the appropriations act that had been funding the Department of Justice expired and appropriations to the Department lapsed. The same is true for several other Executive agencies, including Defendant the U.S. Department of Homeland Security (“DHS”). The Department does not know when funding will be restored by Congress. 2. Absent an appropriation, Department of Justice attorneys and employees of DHS are prohibited from working, even on a voluntary basis, except in very limited circumstances, including “emergencies involving the safety of human life or the protection of property.” 31 U.S.C. § 1342. Case 3:18-cv-00428-DMS-MDD Document 339 Filed 12/26/18 PageID.5169 Page 2 of 5 3. Undersigned counsel for the Department of Justice therefore requests a stay of all deadlines in this case until Congress has restored appropriations to the Department. 4. If this motion for a stay is granted, undersigned counsel will notify the Court as soon as Congress has appropriated funds for the Department. The Government requests that, at that point, all current deadlines for the parties be extended commensurate with the duration of the lapse in appropriations. 5. Opposing counsel has authorized counsel for the Government to state that they do not oppose this motion. Therefore, although we greatly regret any disruption caused to the Court and the other litigants, the Government hereby moves for a stay of all deadlines in this case until Department of Justice attorneys are permitted to resume their usual civil litigation functions. /// /// /// -2- Case 3:18-cv-00428-DMS-MDD Document 339 Filed 12/26/18 PageID.5170 Page 3 of 5 Dated: December 26, 2018 Respectfully submitted, JOSEPH H. HUNT Assistant Attorney General WILLIAM C. PEACHEY Director WILLIAM C. SILVIS Assistant Director By: Sarah B. Fabian SARAH B. FABIAN Senior Litigation Counsel U.S. Department of Justice Office of Immigration Litigation District Court Section Box 868, Ben Franklin Station Washington, DC 20442 Telephone: (202) 532-4824 Fax: (202) 616-8962 E-mail: Sarah.B.Fabian@usdoj.gov and JESSIE K. LIU, D.C. Bar #472845 United States Attorney DANIEL F. VAN HORN D.C. BAR # 924092 Civil Chief JEREMY S. SIMON, D.C. BAR #447956 Assistant United States Attorney 555 4th Street, N.W. Washington, D.C. 20530 (202) 252-2528 Jeremy.simon@usdoj.gov Counsel for Defendants -3- Case 3:18-cv-00428-DMS-MDD Document 339 Filed 12/26/18 PageID.5171 Page 4 of 5 UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA M.G.U, et al. ) ) ) ) ) ) ) ) ) ) Plaintiffs, v. KIRSTJEN NIELSEN, et al., Defendants. No. 1:18-cv-01458 (PLF) [PROPOSED] ORDER UPON CONSIDERATION of Defendants’ UNOPPOSED MOTION FOR A STAY OF CASE DEADLINES IN LIGHT OF LAPSE OF APPROPRIATIONS, and for good cause shown, it is hereby ORDERED that Defendants’ motion be, and hereby is, GRANTED. All deadlines in this case are hereby stayed until further order of this Court. Defendants will notify the Court as soon as Congress has appropriated funds for the Department. SO ORDERED. ________________ Date ____________________________ PAUL L. FRIEDMAN United States District Judge -4- Case 3:18-cv-00428-DMS-MDD Document 339 Filed 12/26/18 PageID.5172 Page 5 of 5 CERTIFICATE OF SERVICE I hereby certify that on this 26th day of December 2018, I electronically filed the foregoing document with the Clerk of the Court using CM/ECF, which will automatically serve all counsel of record with a copy of said document. _/s/ Sarah B. Fabian SARAH B. FABIAN Senior Litigation Counsel U.S. Department of Justice -5-