7th Cir. 16-3522 Docket

Whitaker v. Kenosha Unified School District No.1
No. 16-3522  

Court: U.S. Court of Appeals for the Seventh Circuit
Panel: Not Yet Announced

 

Date Filed # Docket Text
09/26/2016 1 Private civil case docketed. Fee paid. Docketing Statement due for Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis by 09/30/2016. Transcript information sheet due by 10/11/2016. Appellant’s brief due on or before 11/07/2016 for Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [1] [6785437] [16-3522] (VG)
09/26/2016 2 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Sasha Samberg-Champion for Appellee Ashton Whitaker. [2] [6785484] (L-No; E-Yes; R-No) [16-3522]–[Edited 09/26/2016 by FP to reflect that atty. Champion is added to the docket.] (Samberg-Champion, Sasha)
09/28/2016 3 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Joseph J. Wardenski for Appellee Ashton Whitaker. [3] [6786339] (L-Yes; E-Yes; R-No) [16-3522] (Wardenski, Joseph)
09/28/2016 4 Docketing Statement filed by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. Prior or Related proceedings: Yes. 16-8019 [4] [6786421] [16-3522] (Stadler, Ronald)
09/28/2016 5 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Ilona M. Turner [5] [6786510] (L-No; E-Yes; R-No) [16-3522]–[Edited 09/28/2016 by VG – to reflect addition of counsel] (Turner, Ilona)
09/29/2016 6 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Shawn Thomas Meerkamper for Appellee Ashton Whitaker. [6] [6786656] (L-No; E-Yes; R-No) [16-3522] –[Edited 09/29/2016 by AP- to reflect addition of counsel] (Meerkamper, Shawn)
09/29/2016 7 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Ronald S.. Stadler for Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [7] [6786664] (L-Yes; E-Yes; R-No) [16-3522] (Stadler, Ronald)
09/30/2016 8 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Robert Theine Pledl for Appellee Ashton Whitaker. [8] [6786937] (L-No; E-Yes; R-No) [16-3522] [Edited 09/30/2016 by CAG to reflect the addition of counsel.] (Pledl, Robert)
10/03/2016 9 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Sasha J. Buchert for Appellee Ashton Whitaker. [9] [6787298] (L-No; E-No; R-No) [16-3522] (Buchert, Sasha)
10/04/2016 10 Filed Seventh Circuit Transcript Information Sheet by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [10] [6787748] [16-3522] (Stadler, Ronald)
10/04/2016 11 Motion filed by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis for stay Preliminary Injunction Pending Appeal. [11] [6787987] [16-3522] (Stadler, Ronald)
10/06/2016 12 ORDER re: Defendants-appellant’s motion to stay preliminary injunction pending appeal. The appellee shall file a response on or before October 19, 2016. EAH [12] [6788392] [16-3522] (CR)
10/07/2016 13 Filed Seventh Circuit Transcript Information Sheet by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [13] [6788821] [16-3522] (CR)
10/07/2016 14 Notice of Circuit Rule 33 settlement conference issued. The conference will be conducted by phone, Monday, October 31, 2016 at 9:30 a.m. Central Time. See Notice for further details and requirements. RJS [14] [6788938] [16-3522] (AP)
10/14/2016 15 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Alison Pennington for Appellee Ashton Whitaker. [15] [6790241] (L-No; E-Yes; R-No) [16-3522]–[Edited 10/14/2016 by MM to reflect addition of counsel.] (Pennington, Alison)
10/19/2016 16 Filed Response in Opposition by Appellee Ashton Whitaker to Defendants-Appellants’ Motion to Stay Preliminary Injunction Pending Appeal. [16][6791399] [16-3522] (Wardenski, Joseph)
10/20/2016 17 Filed Response by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis to Defendants Reply to Plaintiff’s Response to Defendants Motion to Stay Preliminary Injunction Pending Appeal. [17][6791685] [16-3522] (Stadler, Ronald)
11/10/2016 18 ORDER: Pursuant to Circuit Rule 33, briefing will proceed as follows: Appellants’ brief due on or before 12/12/2016 for Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. Appellee’s brief due on or before 01/23/2017 for Ashton Whitaker. Appellants’ reply brief, if any, is due on or before 02/06/2017 for Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis RJS [6796917] [16-3522] (AP)
11/10/2016 19 ORDER re: 1) Defendants-Appellants’ Motion to Stay Preliminary Injunction Pending Appeal. [11] 2) Plaintiff-Appellee’s Response to Defendants-Appellants’ Motion to Stay Preliminary Injunction Pending Appeal. 3) Defendants-Appellants’ Reply to Plaintiff-Appellee’s Response to Defendants-Appellant’s Motion to Stay Preliminary Injunction Pending Appeal. The motion to stay the preliminary injunction pending appeal is DENIED. EAH [19] [6797141] [16-3522] (AD)
12/01/2016 20 Motion filed by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis Motion to take pendent jurisdiction. [20] [6801484] [16-3522]–[Edited 12/02/2016 by AP- This document is missing a certificate of service.] (Stadler, Ronald)
12/02/2016 21 Filed Certificate of Service to Defendants’ Motion to Take Pendent Jurisdiction filed on 12/02/2016 by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [21] [6801644] [16-3522] (Stadler, Ronald)
12/12/2016 22 Submitted appellant brief by Ronald Stadler for Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [22] [6803821] [16-3522] (Stadler, Ronald)
12/12/2016 23 Filed Response in Opposition by Appellee Ashton Whitaker to Defendants-Appellants’ Motion for the Exercise of Pendent Jurisdiction. [23][6803903] [16-3522] (Wardenski, Joseph)
12/12/2016 24 Brief deficiency letter sent to Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [24] [6803916] [16-3522] (ACB)
12/12/2016 26 Appellant’s brief filed by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. Paper copies due on 12/21/2016 Electronically Transmitted. [26] [6804438] [16-3522] (ACB)
12/12/2016 27 Filed Appendix by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. Paper copies due on 12/21/2016. [27] [6804442] [16-3522] (ACB)
12/13/2016 25 Re-Submitted appellant brief by Ronald Stadler for Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [25] [6804269] [16-3522] (Stadler, Ronald)
12/16/2016 28 Filed Reply by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis Attorney Ronald Stadler to Reply to Plaintiff’s Response in Opposition to Defendants’ Motion for the Exercise of Pendent Jurisdiction. [28][6805063] [16-3522] (Stadler, Ronald)
12/19/2016 29 ORDER re: 1. Defendants-appellants’ motion for the exercise of pendent jurisdiction. 2. Plaintiff-Appellee’s response in opposition to defendants-appellants’ motion for the exercise of pendent jurisdiction. 2. Defendants-appellants’ reply to Plaintiff-Appellee’s response in opposition to defendants-appellants’ motion for the exercise of pendent jurisdiction. This motion shall be taken with the case for resolution by the assigned merits panel. The clerk of this court shall distribute a copy of this order, the motion, and any response to the merits panel. EAH [29] [6805408] [16-3522] (AP)
12/19/2016 30 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Jeremy D. Tedesco for Alliance Defending Freedom. [30] [6805620] (L-Yes; E-Yes; R-No) [16-3522] (Tedesco, Jeremy)
12/19/2016 31 Submitted brief by Jeremy D. Tedesco for amicus Alliance Defending Freedom. Consent from all parties contained within brief. [31] [6805621] [16-3522] (Tedesco, Jeremy)
12/19/2016 32 Amicus brief filed by Amicus Curiae Alliance Defending Freedom by consent. Paper copies due on 12/27/2016 Electronically Transmitted. [32] [6805718] [16-3522] (ACB)
01/04/2017 33 Added Attorney(s) Gary McCaleb for party(s) Amicus Curiae Alliance Defending Freedom, in case 16-3522 per disclosure statement. Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Gary S. McCaleb for Amicus Curiae Alliance Defending Freedom. [33] [6808936] (L-Yes; E-Yes; R-No) [16-3522]–[Edited 01/04/2017 by AD to reflect the addition of counsel.] (McCaleb, Gary)
01/04/2017 34 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Jordan Lorence for Amicus Curiae Alliance Defending Freedom. [34] [6808947] (L-No; E-Yes; R-No) [16-3522]–[Edited 01/04/2017 by VG – to reflect addition of counsel] (Lorence, Jordan)
01/23/2017 35 Submitted appellee brief by Joseph J. Wardenski for Appellee Ashton Whitaker. [35] [6813586] [16-3522] (Wardenski, Joseph)
01/23/2017 36 Appellee’s brief filed by Appellee Ashton Whitaker. Paper copies due on 01/31/2017 Electronically Transmitted. [36] [6813694] [16-3522]–[Edited 01/27/2017 by AD] REPLACED, per the court’s 1/27/17 order. (LJ)
01/23/2017 37 Filed Appendix and addendum by Appellee Ashton Whitaker. [37] [6813700] Paper copies due on 01/31/2017 [16-3522] (LJ)
01/24/2017 38 NOTICE: Attorney Mr. Joseph John Wardenski for Appellee Ashton Whitaker will not be available for oral argument 3/27/17-3/31/17; 4/6/17-4/14/17; 5/17/17-5/19/17. [38] [6813940] [16-3522] (Wardenski, Joseph)
01/25/2017 39 Argument set for Wednesday, March 29, 2017, at 9:30 a.m. in the Main Courtroom, Room 2721. Minutes to be assigned later. [39] [6814013] [16-3522] (RS)
01/26/2017 40 Motion filed by Appellee Ashton Whitaker to file corrected brief. [40] [6814544] [16-3522] (Wardenski, Joseph)
01/27/2017 41 ORDER re: Plaintiff-Appellee’s Unopposed Motion for Leave to File Corrected Brief. [40] Because the electronically tendered brief is procedurally deficient, the motion is DENIED without prejudice to renewal accompanied by a tendered brief that complies with the Federal Rules of Appellate Procedure and the local Circuit Rules. Specifically, the tendered brief must include disclosure statements, a table of contents, and a table of authorities. See Fed. R. App. P. 28(a). CMD [41] [6814819] [16-3522] (AD)
01/27/2017 42 Motion filed by Appellee Ashton Whitaker to file corrected brief. [42] [6814841] [16-3522] (Wardenski, Joseph)
01/27/2017 43 INSTANTER ORDER issued GRANTING Plaintiff-Appellee’s Unopposed Motion for Leave to File Corrected Brief. [42] The clerk of this court shall file INSTANTER the electronically tendered corrected brief of the appellee. This brief replaces the brief filed on January 23, 2017. Further, the appellants’ reply brief, if any, is due by February 10, 2017. CMD [43] [6814862] [16-3522] (AD)
01/27/2017 44 CORRECTED Appellee’s brief filed by Appellee Ashton Whitaker. Paper copies due on 02/03/2017 Electronically Transmitted. [44] [6814876] [16-3522] (SP)
01/30/2017 45 Submitted brief by Julia R. Lissner for amicus FORGE, Inc., Indianapolis Chapter of P-FLAG, Inc., Genders & Sexualities Alliance Network and Gender Expansive Kids and Company. Consent from all parties contained within brief. [45] [6815016] [16-3522] (Lissner, Julia)
01/30/2017 46 Submitted brief by Charles Rothfeld for amicus National Women’s Law Center et al. Consent from all parties contained within brief. [46] [6815141] [16-3522] (Rothfeld, Charles)
01/30/2017 47 Submitted brief by Kyle A. Palazzolo for amicus School Administrators from Twenty-One States and the District of Columbia in Support of Plaintiff-Appellee. Consent from all parties contained within brief. [47] [6815216] [16-3522] (Palazzolo, Kyle)
01/30/2017 48 Submitted brief by Mark E. Haddad for amicus Amici Curiae Scholars Who Study the Transgender Population. Consent from all parties contained within brief. [48] [6815223] [16-3522] (Haddad, Mark)
01/30/2017 49 Submitted brief by MAUREEN P. ALGER for amicus GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. Consent from all parties contained within brief. [49] [6815224] [16-3522] (Alger, Maureen)
01/30/2017 50 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Maureen P. Alger for GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. [50] [6815225] (L-Yes; E-Yes; R-No) [16-3522] (Alger, Maureen)
01/30/2017 51 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney John C. Dwyer for GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. [51] [6815226] (L-No; E-No; R-No) [16-3522] (Alger, Maureen)
01/30/2017 52 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Patrick Gunn for GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. [52] [6815227] (L-No; E-No; R-No) [16-3522] (Alger, Maureen)
01/30/2017 53 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Kyle Wong Additional Parties: GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. [53] [6815228] (L-No; E-No; R-No) [16-3522] (Alger, Maureen)
01/30/2017 54 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Jennifer Lerner for GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. [54] [6815229] (L-No; E-No; R-No) [16-3522] (Alger, Maureen)
01/30/2017 55 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Christopher Stoll for GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. [55] [6815230] (L-No; E-No; R-No) [16-3522] (Alger, Maureen)
01/30/2017 56 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Asaf Orr for GAY STRAIGHT ALLIANCE FOR SAFE SCHOOLS, INC., ILLINOIS SAFE SCHOOLS ALLIANCE, INDIANA YOUTH GROUP, INC., AND GENDER SPECTRUM CHARITABLE FUND. [56] [6815231] (L-No; E-No; R-No) [16-3522] (Alger, Maureen)
01/30/2017 57 Amicus brief filed by Amicus Curiae School Administrators from Twenty-One States and the District of Columbia, by consent. Paper copies due on 02/07/2017 Electronically Transmitted. [57] [6815273] [16-3522] (NR)
01/30/2017 59 Amicus brief filed by Amici Curiae Gender Expansive Kids and Company, Genders & Sexualities Alliance Network, Indianapolis Chapter of P-FLAG, Inc. and FORGE, Inc. by consent. Paper copies due on 02/07/2017. Electronically Transmitted. [59] [6815347] [16-3522] (GW)
01/30/2017 60 Amicus brief filed by Amici Curiae Gender Spectrum Charitable Fund, Indiana Youth Group, Inc., Illinois Safe Schools Alliance and Gay Straight Alliance for Safe Schools, Inc. by consent. Paper copies due on 02/07/2017 Electronically Transmitted. [60] [6815379] [16-3522] (SK)
01/30/2017 61 Brief deficiency letter sent to Amici Curiae Who Study Transgender Population. [61] [6815393] [16-3522] (CO)
01/30/2017 63 Amicus brief filed by Amicus Curiae National Women’s Law Center by consent. Paper copies due on 02/10/2017 Electronically Transmitted. [63] [6816155] [16-3522] (CO)
01/30/2017 67 Amicus brief filed by Amici Curiae Scholars Who Study Transgender Population (M.V. Lee Badgett, Nadav Antebi-Gruszka and Katherine R Allen) by consent. Paper copies due on 02/16/2017 Electronically Transmitted. [67] [6817548] [16-3522]–[Edited 02/14/2017 by CO] (CO)
01/30/2017 73 THIS CAUSE CONSISTS OF MORE THAN 5 PARTIES FOR AMICUS CURIAE. The following are those parties listed in Appendix A – List of Individual Amici comprising the Scholars Who Study Transgender Population & are not reflected on the Appellate docket/caption for administrative purposes: AMICUS CURIAE Carlos A. Ball, Rutgers University, Juan Battle, City University of New York Graduate Center, John R. Blosnich, Graduate School of Public Health University of Pittsburgh, H.M.W. (Henny) Bos, University of Amsterdam, Michael Boucai, SUNY Buffalo Law School, William Byne, Icahn School of Medicine at Mount Sinai, Devon W. Carbado, UCLA School of Law, Christopher S. Carpenter, Vanderbilt University, Kate L. Collier, Kerith Conron, Williams Institute, UCLA School of Law, Paisley Currah, City University of New York, Daniela G. Domínguez, University of San Francisco, Katie Eyer, Rutgers Law School, Rachel H. Farr, University of Kentucky, Adam W. Fingerhut, Loyola Marymount University, Andrew R. Flores, Mills College, Nanette Gartrell, UCLA School of Law, University of Amsterdam, Gary J. Gates, Gallup & UCLA School of Law, Jeremy T. Goldbach, University of Southern California, Abbie E. Goldberg, Clark University, Gilbert Gonzales, Vanderbilt University School of Medicine, Allegra R. Gordon, Boston Children’s Hospital and Harvard Medical School, Amira Hasenbush, UCLA School of Law, Jody L. Herman, UCLA School of Law, Ian W. Holloway, UCLA Luskin School of Public Affairs, Ning Hsieh, Michigan State University, David M. Huebner, George Washington University, Nan D. Hunter, Georgetown University Law Center, UCLA School of Law, Courtney G. Joslin, UC Davis School of Law, King Hall, Laura T. Kessler, University of Utah, Suzanne A. Kim, Rutgers Law School, Nancy J. Knauer, Temple University, Jasleen Kohli, UCLA School of Law, Zachary Kramer, Arizona State University, Sylvia Law, NYU Law School, Arthur S. Leonard, New York Law School, Greg Lewis, Georgia State University, Christy Mallory, UCLA School of Law, Ilan H. Meyer, UCLA School of Law, John Pachankis, Yale School of Public Health, Kim Hai Pearson, Gonzaga University School of Law, Nancy Polikoff, American University Washington College of Law, Andrew Reynolds, UNC Chapel Hill, Ellen D.B. Riggle, University of Kentucky,Darren Rosenblum, Pace Law School, Clifford Rosky, University of Utah, Esther D. Rothblum, San Diego State University, Stephen T. Russell, University of Texas at Austin, Sheree M. Schrager, Children’s Hospital Los Angeles, R. Bradley Sears, UCLA School of Law, Kristie L. Seelman, Georgia State University, Randall Sell, Drexel University, Scott Skinner-Thompson, New York University School of Law, Catherine Smith, University of Denver, Edward Stein, Yeshiva University, Rylan Jay Testa, Rhodes College, Ari Ezra Waldman, New York Law School, Bianca D.M. Wilson, UCLA School of Law, Jordan Blair Woods, University of Arkansas School of Law. [73] [6818955] [16-3522] (JAD)
01/31/2017 58 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Kyle A. Palazzolo for Amicus Curiae School Administrators from Twenty-One States and the District of Columbia. Additional Parties: Tara L. Borelli Richard M. Segal Nathaniel R. Smith Cynthia Cook Robertson Robert C.K. Boyd. [58] [6815299] (L-Yes; E-Yes; R-No) [16-3522] (Palazzolo, Kyle)
02/02/2017 62 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Charles Rothfeld, Andrew J. Pincus, Paul W. Hughes, Michael B. Kimberly, Fatima Goss Graves, Neena Chaudhry, Adaku Onyeka-Crawford, Alexandra Brodsky for Amici Curiae National Women’s Law Center et al.. [62] [6815961] (L-Yes; E-Yes; R-No) [16-3522] (Rothfeld, Charles)
02/03/2017 64 THIS CAUSE CONSISTS OF MORE THAN 5 PARTIES FOR AMICUS A BETTER BALANCE;CALIFORNIA WOMEN’S LAW CENTER;CENTER FOR REPRODUCTIVE RIGHTS;EQUAL RIGHTS ADVOCATES KNOW YOUR IX;NATIONAL COUNCIL OF JEWISHWOMEN;NATIONAL CRITTENTON FOUNDATION;NATION ORGANIZATION FOR WOMEN FOUNDATION RED WEB FOUNDATION. SAN FRANCISCO MENTAL HEALTH EDUCATION FUNDS,INC.;STOP SEXUAL ASSAULT IN SCHOOLS;SURVJUSTICE; WOMEN’S LAW PROJECT [64] [6816161] [16-3522] (CO)
02/03/2017 65 Re-Submitted brief by Mark E. Haddad for amicus Amici Curiae Scholars Who Study the Transgender Population. Consent from all parties contained within brief. [65] [6816410] [16-3522] (Haddad, Mark)
02/03/2017 66 Circuit Rule 26.1 Disclosure Statement and Appearance filed by Attorney Mark E. Haddad, David R. Carpenter, Adriane Peralta, Rahul Hari, Adam P. Romero for Amici Curiae Scholars Who Study the Transgender Population. [66] [6816412] (L-Yes; E-Yes; R-No) [16-3522] (Haddad, Mark)
02/10/2017 68 Submitted appellant reply brief by Ronald Stadler for Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. NOTE: Access to this entry is limited to counsel of record. Once the document is approved by the court, it will be filed onto the court’s docket as a separate entry which will be open to the public. [6818199] [16-3522] (Stadler, Ronald)
02/10/2017 71 Appellant’s reply brief filed by Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. Paper copies due on 02/21/2017 Electronically Transmitted. [71] [6818491] [16-3522] (CO)
02/13/2017 69 Notice to the District Court to transmit the record on appeal. [69] [6818275] [16-3522] (RS)
02/13/2017 70 Argument reset for Wednesday, March 29, 2017 at 9:30 a.m. in the Main Courtroom, Room 2721. Each side limited to 20 minutes. [70] [6818278] [16-3522] (RS)
02/13/2017 72 Original record on appeal filed electronically. Contents of record : 4 vol. of pleadings. [72] [6818591] [16-3522] (MT)
02/15/2017 74 Brief deficiency letter sent to Amicus Curiae National Women’s Law Center. The Amicus brief was electronically filed on 01/30/2017. The paper copies of this brief were due to be submitted to the Clerk’s Office by 02/10/2017. The paper copies have not been received by this court. Paper copies due on 02/22/2017 or the court may issue a Rule of Show Cause order pursuant to Circuit Rule 31. [74] [6818992] [16-3522] (FI)
02/27/2017 75 Filed Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis Citation of Additional Authority, per Circuit Rule 28(e). [75] [6821883] [16-3522] (Stadler, Ronald)
03/01/2017 76 Filed Response by Appellee Ashton Whitaker to Defendants-Appellants’ Submission of Supplemental Authority and Supporting Letter. [76][6822499] [16-3522] (Wardenski, Joseph)
03/07/2017 77 Filed Appellee Ashton Whitaker Citation of Additional Authority, per Circuit Rule 28(e). [77] [6823976] [16-3522] (Stadler, Ronald)
03/22/2017 78 Received argument confirmation from Joseph J. Wardenski for Appellee Ashton Whitaker. [78] [6827943] [16-3522] (Wardenski, Joseph)
03/022/2017 79 Received argument confirmation from Ronald S. Stadler for Appellants Kenosha Unified School District No. 1 Board of Education and Sue Savaglio-Jarvis. [79] [6828034] [16-3522] (Stadler, Ronald)

 

Last updated 03/10/2017