UNITED STATES DISTRICT COURT
Opposition to .. Motions to Dismiss
FOR THE DISTRICT OF COLUMBIA
William Thomas, et. al. |
Plaintiffs pro se, |
v. | C.A. No. 95-1018
| Judge Charles R. Richey
The United States, et. al. |
PLAINTIFF'S OPPOSITION TO THE FEDERAL AND DISTRICT OF COLUMBIA
DEFENDANTS' RESPECTIVE MOTIONS TO DISMISS OR IN THE ALTERNATIVE
FOR SUMMARY JUDGMENT, AND REPLY TO DEFENDANTS'
OPPOSITION TO PLAINTIFF'S MOTION FOR PRELIMINARY INJUNCTION
Plaintiff hereby opposes the federal defendants motion to dismiss the
Complaint, and, defendants' alternative motion for summary judgment.
Plaintiff discusses his opposition to defendants' motion in an accompanying
Memorandum. Plaintiff also submits herewith a Statement of Facts as to Which There
Exist Genuine Material Issues.
Respectfully submitted this 19th day of July, 1995.
William Thomas, Plaintiff Pro Se
2817 11th Street N.W.,
Washington, D.C. 20005
CERTIFICATE OF SERVICE
I certify that, on this th day of July, 1995, copies of PLAINTIFF'S OPPOSITION
TO THE FEDERAL AND DISTRICT OF COLUMBIA DEFENDANTS' RESPECTIVE
MOTIONS TO DISMISS OR IN THE ALTERNATIVE FOR SUMMARY JUDGMENT,
AND REPLY TO DEFENDANTS' OPPOSITION TO PLAINTIFF'S MOTION FOR
PRELIMINARY INJUNCTION; a STATEMENT OF FACTS TO WHICH THERE EXIST
GENUINE MATERIAL ISSUES; a MEMORANDUM IN SUPPORT OF THE MOTION,
and accompanying documents, were served by first-class mail, addressed to: MARINA
UTGOFF BRASWELL, Assistant United States Attorney, Judiciary Center Building --
Rm. 10-820, 555 4th Street, N.W., Washington, D.C. 20001, and BRUCE BRENNAN,
Asst. Corporation Counsel, 441 4th Street NW , Suite 6-S-101, Washington, D.C.