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'DAVID A. ESCAMILLA LlTIGATfON DIVISION
COUNTY ATTORNEY
SHERINE ., THO MASt
RANDY T, L_~AVITT DIRECTOR
,It. '
FIRST ASSISTANT
ELAI~ A. -CASAS
JAMES W. COLLINS
EXECUTIVE ASSISTANT FELIX TARANGO
314 W. S1;REET
11TH, ANTHONY J NELSON
GRANGER BLDG., SpITE 420
AUSTIN, TEXA 7.8701 LESLIE W. DIPPEL
I
P. O. BO-X 1748 JENNIFER KRABER
AUSTIN, TEXAS 7876!
STEPHEN H. CAPELLE
(512)"854.9513
tMfMBER OF THE COLLEGE
FAX: (512) 854-4808 ' OF THE STATE BAR
Rule 26(f) of the Federal Rules of Civil Procedure, requires parties to a lawsuit to confer
regarding a discovery plan and a scheduling order. Enclosed is a proposed joint scheduling order
which will govern the above lawsuit. The Court prefers the parties to agree on a scheduling
order rather than each party submitting separate orders. Please review the enclosed proposed
order and contact us with any revisions or concerns. If the proposed order meets your approval
please sign and return and we will file the order with the Court. The Rules require us to file the
scheduling order by November 3, 2008. Please contact me by October 20, 2008 so we may meet
the Court's deadline. Otherwise, we will file it on October 31, 2008 as Defendants' Proposed
Scheduling Order. Further, I propose we exchange with each other the Initial Disclosures Rule
26(a) requires by October 27,2008.' Please let fie-Know ifyou agree'with that deadline. FInally,
please provide us with your telephone number and/or email address so that you can be reached.
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190984
· .
Filed: 11103/08
, .Case No: 1:08cv643
Doc. #9
§
BEAmER JOHNSON, §
Plaintiff, §
§
v. § A-08-CA-643-SS
§
TRAVIS COUNTY AND SUSAN §
SPATARO IN HER INDIVIDUAL §
AND omCIAL CAPACITIES, §
DefendlUlts. §
Pursuant to Rule 16, Federal Rules of Civil Procedure, the Court issues the following
scheduling order:
2.. The parties aSserting claims for relief shaiI submit a Written offer of settlement to .
opposing parties by March 11.2009 , and each opposing party shall respond, in writing, by
March 25, 2009 . All offers of settlement are to be private, not filed, and the Court is not to
be advised of the same. The parties are further ORDERED to retain the written offers of
settlement and responses as the Court will use these in assessing attorney's fees and court costs
3. The parties shall file all amended or supplemental pleadings and shall join .'
4. All parties asserting claims for relief shall file their designation of potential
witnesses, testifying experts, and a list of proposed exhibits, and shall serve on alJ parties, but not
190891 94.269
~ov 01 0811:53a nen.iC Audino 512 _2850 p.3
file, a summary
. of testimony of any witness who will present any opinion in trial in an cxpeJt
.
report by May 22. 2009 . Any opinion or testimony not contained in the summary will not be
permitted at trial. Parties resisting. claims for relief shall file their designation of potential
witnesses. testifying experts, and a list of proposed exhibits, and shall serve on all parties, but not
file, a SUJDmaIy of testimony of any witness who will present any opinion in trial in an expert
report by' Jtme 22. 2009 . Any opinion or testimony not contained in the summaJ)' willnot be
permitted at triaL All designations of rebuttal experts shall be filed within fifteen (15) days of
receipt of the report of the opposing expert. The Fed R. Civ. P. 26 standard is not applicabJe to
this paragraph; it does not make any difference whether or not the expert witness is a "retained
expert," as any opinion or testimony of any expert not contained in the summary will be
permitted at trial. .
Rule of Evidence 702 shall be made by motion; specifically stating the basis for theobjcction
and identifying the objectionable testimony, within eleven (11) days of receipt of the written
report of the expert's proposed testimony or within eleveD (11) days of the expert's deposition. if
6~ The parties shall complete all discovery on or before July 31, 2009" . Counsel
may by agreement continue discovery beyond the deadline, but there will be no intervention by
. . the Court except in extmordinary circumstances, end no trial setting will be vacated because of
shall be limited to ten (10) pages. Responses shall be filed within eleven (11) days of the service
of the motion and shall be limited to ten(l 0) pages. Any replies shall be filed within eleven (11)
190891 94-269 2
.
"Mov 01 08 11:53a 512 _2850
. days of the-service of the response and shall be limited to five (5) pages, but the Court need not
AGREED:
~-~
~mey for Defendants ..
190891 94·269 3
Fax: 512/854-4808
Email: lestie.dippel@co.travis.tx.us
LEAD ATTORNEY
AITORNEY TO BE NOTICED
Defendant
Susan Spataro represented by Anthony J. Nelson
In Her Individual and Official Capacity (See above for address)
LEAD ATTORNEY
AITORNEY TO BE NOTICED
Leslie W. Dippel
(See above for address)
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
08/27/2008 1 Defendants' NOTICE OF REMOVAL (Filing fee $350 receipt number 00429017), filed by
Travis County, Susan Spataro. (Attachments: # 1 Exhibit - County Register of Actions, # 2
Exhibit - Plaintiffs Original Petition filed in State Court, # .3. Exhibits - Defendants' Notice of
Removal filed in Federal Court, # 1- Civil Cover Sheet / Supplemental / Receipt)(klw,)
(Entered: 08/2712008)
08/27/2008 DEMAND for Trial by Jury by Plaintiff contained in Original Complaint filed in State Court.
(klw, ) (Entered: 0812712008)
-
08/2712008 2 ORDER for Removing Party to supplement the record with State Court filings. Signed by
Judge Sam Sparks. (klw,) (Entered: 08/27/2008)
09/04/2008 .3. ANSWER to Complaint (Notice of Removal) by Travis County, Susan Spataro. (mm5)
(Entered: 09/04/2008)
09/0512008 ~ Order for Proposed Scheduling Order. Plaintiff shall submit a proposed scheduling order to the
Court within sixty (60) days after the appearance of any defendant. Proposed Scheduling
Order due by 111312008. Signed by Judge Sam Sparks. (mm5) (Entered: 09105/2008)
09/2512008 5 MOTION to Remand to State Court by Heather Johnson. (Attachments: # 1Proposed Order)
(mm5) (Entered: 09/25/2008)
09/2912008 Q RESPONSE to Motion, filed by Travis County, Susan Spataro, re 5. MOTION to Remand to
State Court filed by Plaintiff Heather Johnson Defendants' Response to Plaintiffs Motion to
Remand (Attachments: # 1 Exhibit A)(Nelson, Anthony) (Entered: 09/2912008)
09/29/2008 1 RESPONSE to Motion, filed by Travis County, Susan Spataro, re 5 MOTION to Remand to
State Court filed by Plaintiff Heather Johnson CORRECTED Defendants' Response to
Plaintiffs Motionfor Remand (Attachments: # I Exhibit A)(Nelson, Anthony) (Entered:
09/29/2008)
10/03/2008 .8 ORDER DENYING 5. Motion to Remand to State Court. Signed by Judge Sam Sparks. (mm5)
(Entered: 10/0312008)
11/03/2008 2 Proposed Scheduling Order Joint Scheduling Order by Heather Johnson, Travis County,
Susan Spataro. (Dippel, Leslie) (Entered: 1110312008)
11107/2008 10 SCHEDULING ORDER: Docket Call set for 9/25/2009 11:00 AM and Trial in the month of
October 2009 before Judge Sam Sparks. ADR Report Deadline due by 3/25/2009. Amended
u.s. District Court [LIVE]
Western District of Texas (Austin)
CIVIL DOCKET FOR CASE #: 1:08-cv-00643-SS
Plaintiff
Heather Johnson represented by Heather Johnson
601 Blessing Ranch Road
Liberty Hill, TX 78642
512/497-2114
PROSE
Dominic C. Audino
Attorney at Law
Arboretum Plaza One
9442 Capital of Texas Hwy.
Suite 500 '
Austin, TX 78759
(512) 251-5004
Fax: 512/525-2850
Email: dominicaudino@yahoo.com
TERMINATED: 0211012009
LEAD ATTORNEY
ATTORNEY TO BE NOTICED
v.
Defendant
Travis County represented by Anthony J. Nelson
Travis County Attorney's Office
314 West 11th Street
Room 420
Austin, TX 78701
(512) 854-4801
Fax: 512/854-4808
Email: tony.nelson@co.travis.tx.us
LEAD ATTORNEY
AITORNEY TO BE NOTICED
Leslie W. Dippel
Travis County Attorney's Office
P.O. Box 1748 .
314 W. 11th Street
Room 420
Austin, TX 78767
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF TEXAS
" AUSTIN DIVISION
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, :n;~~THERJOHNSON §
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V. "':'f § A-08-CA-643-SS
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, TRAYIS-'COUNt-Y AND SUSAN SPATARO §
~"'.;·~~·'.INHER INDIVIDUAL AND OFFICIAL §
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: ..DEFENDANTS TRAVIS COUNTY AND SUSAN SPATARO'S
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,j. ./ INITIAL DISCLOSURES PURSUANT TO FED. R. CIV. P. 26(a)(1)
TO:- HeatherJohnson, by and through her attorney of record, Dominic Audino, Arboretum Plaza -
One, 9442 N. Capital of Texas Highway, Suite 500, Austin, Texas 78759.
COME NOW, Defendants, TRAVIS COUNTY and SUSAN SPATARO, and provide
Heather Johnson
601 Blessing Ranch Road
Liberty Hill, Texas 78642
Ms. Johnson is expected to have personal knowledge of the facts surrounding her employment with.
Travis County.
Susan Spataro is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Susan Spataro is also expected to have personal knowledge of Ms.
Johnson's employment with Travis County, her disciplinary actions, her termination and subsequent
appeal.
r ~..• :.,..
191402-1 1
April Bacon, Chief Assistant County Auditor
314 W. 11th Street, Suite 200
Austin, Texas 78701
(512) 854-9125
April Bacon is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. April Bacon is also expected to have personal knowledge of Ms.
Johnson's employment with Travis County, her disciplinary actions, and ultimately her termination.
Jose Palacios is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Jose Palacios is also expected to have personal knowledge of Ms.
Johnson's employment with Travis County, her disciplinary actions, and ultimately her termination.
Sean O'Neal is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Sean O'Neal is also expected to have personal knowledge of his working
relationship with Ms. Johnson.
Diana Warner is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Diana Warner is also expected to have personal knowledge of Ms.
Johnson's employment with Travis County, her disciplinary actions, and ultimately her termination.
Mike Crawford is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Mike Crawford is also expected to have personal knowledge of Ms.
Johnson's employment with Travis County, her disciplinary actions, and ultimately her termination.
191402-1 2
Blain Keith, Chief Assistant Auditor
314 W. 11thStreet, Suite 200
Austin, Texas 78701
(512) 854-9125
Blain Keith is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Blain Keith is also expected to have personal knowledge of his working
relationship with Ms. Johnson.
Tracy LeBlanc
314 W. 11thStreet, Suite 200
Austin, Texas 7870 1
(512) 854-9125
Tracy LeBlanc is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Tracy LeBlanc is also expected to have personal knowledge of her
working relationship with Ms. Johnson.
Yolanda Jones
314 W. 11thStreet, Suite 200
Austin, Texas 78701
(512) 854-9125
Yolanda Jones is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Yolanda Jones is also expected to have personal knowledge of her
working relationship with Ms. Johnson.
Sandy Hendrix
314 W. 11thStreet, Suite 200
Austin, Texas 78701
(512) 854-9125
Sandy Hendrix is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office. Sandy Hendrix is also expected to have personal knowledge of her
working relationship with Ms. Johnson.
Dominic Audino
Arboretum Plaza One
9442 N. Capital of Texas Highway, Suite 500
Austin, Texas 78759
191402-1 3
Anthony J. Nelson
Travis County Attorney's Office
314 W. 11thStreet, Suite 420
Austin, Texas 78701
(512) 854-9513
Leslie W. Dippel
Travis County Attorney's Office
314 W. 11thStreet, Suite 420
Austin, Texas 78701
(512) 854-9513
Defendants reserve the right to supplement these disclosures, call any witness or expert
witnesses identified by Plaintiff or any other party in any interrogatory responses, in responses to
Requests for Admission, in any documents produced in response to Requests for Production or
subpoena duces tecum, in any deposition testimony, or in any Designation of Potential Witnesses
filed with the Court.
, II. FED. R. CIV. P. 26(a)(1)(A)(li) A copy - or a Description by Category and Location -- of all
Documents, Electronically Stored Information, and Tangible Things in Defendants' Custody
or Control It May Use To Support Its Claims or Defenses Unless the Use Would Be Solely for
Impeachment.
Defendants reserve the right to supplement its list of potential exhibits. Defendants also
reserve the right to use any document or tangible thing identified by any party in any interrogatory
response, in responses to Requests for Admission, in any documents produced in response to
Requests for Production, in response to any subpoena duces tecum, in any deposition, or in any
designation of potential exhibits.
III. FED. R. CIV. P. 26(a)(1)(A)(ili) A computation of each category of damages claimed by the
disclosing party.
None.
191402-1 4
IV. FED. R. CIV. P. 26(a)(l)(A)(iv) For Inspection and Copying Any Insurance Agreement
Under Which an Insurance Business May Be Liable to Satisfy All or Part of a Possible
Judgment In the Action or to Indemnify or Reimburse For Payments Made to Satisfy the
Judgment.
Respectfully submitted,
DA VID ESCAMILLA
TRA VIS COUNTY ATTORNEY
P. O. Box 1748
Austin, TX 78767
(512) 854-9415
FAX: (512) 854-4808
By:
ANTHONY J. NELSON
Assistant Travis County Attorney
State Bar No. 14885800
LESLIE W. DIPPEL
Assistant Travis County Attorney
State Bar No. 00796472
Attorneys for Defendants Travis County
and Susan Spataro
191402-1 5
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing Defendants Travis County and
Susan Spataro's Initial Disclosures Pursuant to Federal Rules of Civil Procedure 26(a)(1) was
Anthony J. Nelson
Leslie W. Dippel
Assistant County Attorneys
191402-1 6
,
, '
HEATHER JOHNSON, §
Plaintiff, §
§
V. § CIVIL ACTION NO. A:08-CA-643-SS
§
TRA VIS COUNTY AND SUSAN §
SPATARO IN HER INDIVIDUAL §
AND OFFICIAL CAPACITIES §
Defendants. §
Heather Johnson
601 Blessing Ranch
Road Liberty Hill, Texas
78642
Ms. Johnson has personal knowledge of the facts surrounding her employment with Travis
County, her Whistleblower claim, disciplinary actions taken against her, her termination and
subsequent appeal and claims of constitutional violations. /'
April Bacon is expected to have personal knowledge of the policies and procedures of the
Travis County Auditor's Office, personal knowledge of Ms. Johnson's employment with Travis
County, as well as personal knowledge of Ms. Johnson's Whistleblower complaints, her
disciplinary actions, and ultimately her termination.
Jose Palacios is expected to have personal knowledge of the policies and procedures of the
Travis County Auditor's Office, as well as personal knowledge of Ms. Johnson's employment
with Travis County, her disciplinary actions, and ultimately her termination, as well as personal
knowledge of Ms. Johnson's Whistleblower complaints, her disciplinary actions, and ultimately
her termination.
Sean O'Neal is expected to have personal knowledge of the policies and procedures of the
Travis County Auditor's Office. Sean O'Neal is also expected to have personal knowledge of
his working relationship with Ms. Johnson and events allegedly leading up to Ms. Johnson's
termination, as well as personal knowledge of Ms. Johnson's Whistleblower complaints, her
disciplinary actions, and ultimately her termination.
Mike Crawford is expected to have personal knowledge of the policies and procedures of the
Travis County Auditor's Office, Ms. Johnson's employment with Travis County, personal
knowledge of Ms. Johnson's Whistleblower complaints, her disciplinary actions, and ultimately
her termination.
Blain Keith is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office, as well as personal knowledge of his working relationship with Ms.
Johnson.
Tracy LeBlanc
314 W. I11hStreet, Suite 200
Austin, Texas 78701
(512) 854-9125
Tracy LeBlanc is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office, as well as have personal knowledge of her working relationship with Ms.
Johnson.
Yolanda Jones
314 W. 11th Street, Suite 200
Austin, Texas 78701
(512) 854-9125
Yolanda Jones is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office and personal knowledge of her working relationship with Ms. Johnson.
Sandy Hendrix is expected to have personal knowledge of the policies and procedures of the Travis
County Auditor's Office and personal knowledge of her working relationship with Ms. Johnson.
Dominic Audino
Arboretum Plaza One
9442 N. Capital of Texas Highway, Suite 500
Austin, Texas 78759
Anthony J. Nelson
Travis County Attorney's Office
314 W. nthStreet, Suite 420
Austin, Texas 78701
(512) 854-9513
Leslie W. Dippel
Travis County Attorney's
Office 314 W. 11thStreet, Suite
420 Austin, Texas 78701
(512) 854-9513
Plaintiff reserves the right to supplement these disclosures, call any witness or expert
witnesses identified by Defendant or any other party in any interrogatory responses, in responses
to Requests for Admission, in any documents produced in response to Requests for Production or
subpoena duces tecum, in any deposition testimony, or in any Designation of Potential Witnesses
filed with the Court.
Plaintiff reserves the right to supplement its list of potential exhibits. Plaintiff also
reserves the right to use any document or tangible thing identified by any party in any
interrogatory response, in responses to Requests for Admission, in any documents produced in
response to Requests for Production, in response to any subpoena duces tecum, in any deposition,
or in any designation of potential exhibits.
Lost wages based on leaving salary X number of months unemployed since her separation
Damages for loss of opportunities for career advancement, and damage to reputation; and
Exemplary damages
IV. FED. R. Civ. P. 26(a)(1)(A)(iv) For Inspection and Copying Any Insurance Agreement
Under Which an Insurance Business May Be Liable to Satisfy All or Part of a Possible
Judgment In the Action or to Indemnify or Reimburse For Payments Made to Satisfy the
Judgment.
Q-c
DOMINIC AUDINO
SBN 24025861
One Arboretum Plaza
9442 N. Capital of Texas Hwy., Ste. 500
Austin, Texas 78759
(512) 251-5004 Voice
(512) 252-2850 Facsimile
ATTORNEY FOR PLAINTIFF
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing Plaintiffs Initial Disclosures
Pursuant to Federal Rules of Civil Procedure 26(a)(1) was served on this 3rd day of November,
DOMINIC AUDINO
Last Fax
Result:
OK - black and white fax
Okay color - color fax
The Law Offices of Dominic Audino
ARBORETUM PLAZA ONE
9442 N. CAPITAL OF TEXAS Hwv, SUITE 500
AUSTIN, TEXAS 78759
Voice 512-251-5004 Facsimile 512-252-2850
FACSIMILE TRANSMISSION
We are sending you 't-Ietter size pages (including this cover page). Should you have any
problems with the reception of the following pages, please call (512) 251-5004.
3. __ Please prepare citation and __ Return this to my office in the SASE provided
Forward to:
------------
5. Please file stamp the attached copy/document and return it in the SASE provided.
7. Other:
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF TEXAS
AUSTIN DNISION
HEATHER JOHNSON, §
'Plaintiff, §
§
v. § CIVIL ACTION NO. A:08-CA-643-SS
§
TRAVIS COUNTY AND SUSAN §
SPATARO IN HER INDIVIDUAL §
AND OFFICIAL CAPACITIES §
Defendants. §
Dominic Audino asks this Court to allow him to withdraw as attorney in charge for
Plaintiff Heather Johnson.
A. Introduction
1. Plaintiff is Plaintiff Heather Johnson; defendants are Travis County and Susan
Code §554.001 and for violations of Plaintiffs constitutional rights under the First and
B. Argument
3. There is good cause for this Court to grant the motion to withdraw because
5. Dominic Audino has delivered a copy of this motion to Heather Johnson and has
notified her in writing of her right to object to the motion. Plaintiff agrees with this
C. Conclusion
agreement and asks this court to grant his motion to withdraw as attorney in charge for
Respectfully submitted,
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing instrument was served
on the Defendants' counsel Anthony J. Nelson/Leslie W. Dipple via facsimile at (512)
854-4808 before 5:00 pm, in accordance with the Federal Rules of Civil Procedure on the
___ day of December, 2008.
DOMINIC AUDINO
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF TEXAS
AUSTIN DIVISION
HEATHER JOHNSON, §
Plaintiff, §
§
V. § CIVIL ACTION NO. A:08-CA-643-SS
§
TRAVIS COUNTY AND SUSAN §
SPATARO IN HER INDIVIDUAL §
AND OFFICIAL CAPACITIES §
Defendants. §
AGREED ORDER ON MOTION TO WITHDRAW
FINDS good cause to allow Dominic Audino to withdraw as attorney in charge for
Plaintiff Heather Johnson and GRANTS Dominic Audino's motion to withdraw.
SIGNED on ,,2008.
DOMINIC AUDINO
APPROVED AS TO FORM
HEATHER JOHNSON, §
Plaintiff, §
§
v. § CIVIL ACTION NO. A:08-CA-643-SS .
§
TRAVIS COUNTY AND SUSAN §
SPATARO IN HER INDIVIDUAL §
AND OFFICIAL CAPACITIES §
Defendants. §
Dominic Audino asks this Court to allow him to withdraw as attorney in charge for
Plaintiff Heather Johnson.
A. Introduction
1. Plaintiff is Plaintiff Heather Johnson; defendants are Travis County and Susan
Code §554.001 and for violations of Plaintiffs constitutional rights under .the First and
3. There is good cause for this Court to grant the motion to withdraw because
5. Dominic Audino has delivered a copy of this motion to Heather Johnson and has
notified her in writing of her right to object to the motion. Plaintiff agrees with this
Heather Johnson
601 Blessing Ranch Road
Liberty Hill, TX 78642
(512)497-2114
C. Conclusion
agreement and asks this court to grant his motion to withdraw as attorney in charge for
Respectfully submitted,
W tOP DOMINIC
AUDINO
CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the foregoing instrument was served
on the Defendants' counsel Anthony J. NelsonlLeslie W. Dipple via facsimile at (512)
854-4808 before 5:00 pm, in accordance with the Federal Rules of Civil Procedure on the
19th day of January, 2009.
Qc
DOMINIC AUDINO
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF TEXAS
AUSTIN DIVISION
HEATHER JOHNSON, §
Plaintiff, §
§
v. § CIVIL ACTION NO. A:08-CA-643-SS
§
TRAVIS COUNTY AND SUSAN §
SPATARO IN HER INDIVIDUAL §
AND OFFICIAL CAPACITIES §
Defendants. §
FINDS good cause to allow Dominic Audino to withdraw as attorney in charge for
Plaintiff Heather Johnson and GRANTS Dominic Audino's motion to withdraw.
The Court further orders that until such time as Heather Johnson retains counsel, she shall
be contacted at the following:
Heather Johnson
601 Blessing Ranch Road
Liberty Hill, TX 78642
(512)497-2114
DOMINIC AUDINO
TOTAL P.002
The Law Offices of Dominic Audino
ARBORETUM PLAZA ONE
9442 N. CAPITAL OF TEXAS HWY, SUITE 500
AUSTIN, TEXAS 78759
Voice 512-251-5004 Facsimile 512-252-2850
FACSIMILE TRANSMISSION
We are sending you ----
.s letter size pages (including this cover page). Should you have any
problems with the reception of the following pages, please call (512) 251-5004.
3. __ Please prepare citation and __ Return this to my office in the SASE provided
Forward to:
--------------
5. Please file stamp the attached copy/document and return it in the SASE provided.
7. X Other
HP OfficeJet G Series G85 Fax-History Report for
Personal Printer/FaxiCopierlScanner Dominic Audino
5122522850
Jan 23 2009 6:58pm
Last Fax
Result:
OK - black and white fax
Okay color - color fax
,
Picture 143.jpg(JPEG Image, 1664x2168 pixels) file:11IC:/Documents%20and%20Settings/User/Desktop/Picture%20 14...
QL
DOMINIC AUDINO
APPROVED AS TO FORM
ANTHONY J. NELSON
ATTORNEYFORDEFE~~ANTS
1 of 1
1120/20099: 19 PM
JAN-23-2009 16:11 TRAVIS COUNTY ATTORNEY
I
I
Mr. Audino:
Attached is the signed "Approved & Entry Requested" page to your First Amended
Motion to Withdraw as Attorney in Charge. Please feel free to call with any questions or
concerns.
In the event you have problems receiving this transmission, please call the responsible
pnrty listed above.
This message is intended only for the use of the individual or entity to which it is addressed and
may contain information that is privileged. confidential, and exempt from disclosure under
applicable law, If the reader of this message is not the intended recipient or the employee or
agent responsible for delivering the message to the intended recipient, you are hereby notified
that any dissemination, distribution,or copying of this communication is strictly prohibited. If
you have received this communication in error, please notify us immediately by telephone
(collect), and return the original message to us at the above address via the U.S. Postal Service.
Thank You.
145.91
Case 1:08-cv-00643-SS Document 14 Filed 02/10/2009 Page 1 of 2
FIt f 0
IN THE UNITED STATES DISTRICT COURT
FOR THE WESTERN DISTRICT OF TEXAS 2009 FES IDA Mil: 28
AUSTIN DIVISION
HEATHERJOHNSON,
Plaintiff,
ORDER
~.
BE IT REMEMBERED on the ~ day of February 2009 the Court reviewed the file in
the above-styled cause, and specifically "Dominic Audino's First Amended Motion to Withdrawas
Attorney in Charge" [#13] filed January 26,2009, and thereafter, enters the following:
GRANTED.
complete copy of the file of this lawsuit, including all pleadings and investigation, to Heather
Johnson.
IT IS ORDERED that the Clerk shall indicate that Heather Johnson is proceeding pro
se in this lawsuit with the address of 60 1 Blessing Ranch Road, Liberty Hill, Texas 78642,
telephone number 512/497-2114, and all pleadings should be directed to Ms. Johnson until
./
/
/
Case 1:08-cv-00643-SS Document 14 Filed 02/10/2009 Page 2 of 2
-
IT IS FINALLY ORDERED that the Clerk send-a copy of this order to Ms. Johnson
as well a#r.r. Audino and counsel for the defendants and that Heather Johnson must comply,
'. "
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UNlTEDi~CT JUDGE
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