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Baltimore v. HHS Joint Status Report

This joint status report provides an update on related appellate proceedings regarding a rule challenged by the plaintiff. It notes that the defendants have appealed district court decisions vacating the rule to both the Second and Ninth Circuits. Both appellate courts have placed the appeals on hold to allow the Department of Health and Human Services' new leadership to reassess the issues. The most recent filings in both circuits requested keeping the cases on hold for another 30 to 60 days.

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0% found this document useful (0 votes)
105 views3 pages

Baltimore v. HHS Joint Status Report

This joint status report provides an update on related appellate proceedings regarding a rule challenged by the plaintiff. It notes that the defendants have appealed district court decisions vacating the rule to both the Second and Ninth Circuits. Both appellate courts have placed the appeals on hold to allow the Department of Health and Human Services' new leadership to reassess the issues. The most recent filings in both circuits requested keeping the cases on hold for another 30 to 60 days.

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dho
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© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
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Case 1:19-cv-01672-GLR Document 118 Filed 08/19/21 Page 1 of 3

IN THE UNITED STATES DISTRICT COURT


FOR THE DISTRICT OF MARYLAND

MAYOR AND CITY COUNCIL OF


BALTIMORE,

Plaintiff,
Case No. 1:19-cv-01672-GLR
v.

XAVIER BECERRA, in his official capacity as


SECRETARY OF HEALTH AND HUMAN
SERVICES; and U.S. DEPARTMENT OF
HEALTH AND HUMAN SERVICES,1

Defendants.

JOINT STATUS REPORT

The parties submit this joint status report pursuant to this Court’s May 21, 2021 order, ECF

No. 117, to provide an update regarding the status of related appellate proceedings.

As the parties reported in their May 21, 2021 joint status report, Defendants filed notices

of appeal to the United States Court of Appeals for the Second Circuit of the final judgments in

the United States District Court for the Southern District of New York that vacated the rule that

Plaintiff challenges in this case. See State of New York v. U.S. Dep’t of Health & Human Servs.,

No. 1:19-cv-4676-PAE, Notice of Appeal, ECF No. 255 (S.D.N.Y) (New York); Planned

Parenthood Fed’n of Am., Inc. v. Azar, No. 1:19-cv-5433-PAE, Notice of Appeal, ECF No. 123

(S.D.N.Y.) (Planned Parenthood); Nat’l Family Planning & Reproductive Health Ass’n v. Azar,

No. 1:19-cv-5435-PAE, Notice of Appeal, ECF No. 129 (S.D.N.Y) (NFPRHA). Intervenors in

the Southern District of New York litigation also filed notices of appeal. See New York, Notice

of Appeal, ECF No. 254; Planned Parenthood, Notice of Appeal, ECF No. 122; NFPRHA, Notice

1
Secretary Becerra has been automatically substituted for former Acting Secretary
Cochran pursuant to Federal Rule of Civil Procedure 25(d).
Case 1:19-cv-01672-GLR Document 118 Filed 08/19/21 Page 2 of 3

of Appeal, ECF No. 128. The Second Circuit scheduled oral argument in the two consolidated

cases for March 16, 2021. However, on February 5, 2021, the Second Circuit granted Defendants’

consent motion to remove the cases from its oral argument calendar and to place the appeals in

abeyance while new leadership at the U.S. Department of Health & Human Services (HHS)

evaluates the issues the cases present. The Second Circuit directed Defendants to file stay status

letters every thirty days. Most recently, on August 6, 2021, Defendants informed the Second

Circuit that “HHS remains in the process of reassessing the issues that these cases present,” and

indicated that HHS “will file additional status reports at 30-day intervals, consistent with the

Court’s order.”

Defendants also appealed to the United States Court of Appeals for the Ninth Circuit,

seeking review of the final judgment in the United States District Court for the Eastern District of

Washington vacating the challenged rule on November 21, 2019, Washington v. Azar, No. 2:19-

CV-00183-SAB (E.D. Wash.) (Washington), as well as of the final judgments entered in three

cases in the United States District Court for the Northern District of California where the court

also vacated the challenged rule, City & County of San Francisco v. Azar, No. 3:19-cv-2405-WHA

(N.D. Cal.) (San Francisco); California v. Azar, No. 3:19-cv-2769-WHA (N.D. Cal.) (California);

County of Santa Clara v. U.S. Dep’t of Health & Human Servs., No. 3:19-cv-2916-WHA (N.D.

Cal.) (Santa Clara). The Ninth Circuit initially scheduled oral argument for February 8, 2021 but

removed the consolidated cases from its argument calendar upon Defendants’ motion. In light of

new leadership at HHS, Defendants requested that the appeal remain in abeyance. Most recently,

on August 2, 2021, Defendants requested that the Ninth Circuit keep the cases in abeyance for a

further sixty days. The Ninth Circuit granted that motion and directed the parties to provide a

further status report by October 1, 2021 as to whether the appeal will continue to be prosecuted.

2
Case 1:19-cv-01672-GLR Document 118 Filed 08/19/21 Page 3 of 3

Dated: August 19, 2021 Respectfully submitted,

By: /s/ Jane Lewis BRIAN M. BOYNTON


Acting Assistant Attorney General
Jane Lewis #20981
Assistant Solicitor MICHELLE R. BENNETT
BALTIMORE CITY Assistant Branch Director
DEPARTMENT OF LAW
City Hall, Room 109 /s/ Bradley P. Humphreys
100 N. Holliday Street Baltimore, MD 21202 BRADLEY P. HUMPHREYS
Tel: (443) 388-2190 (D.C. Bar No. 988057)
[email protected] Trial Attorney, U.S. Department of Justice
Civil Division, Federal Programs Branch
Arun Subramanian (admitted pro hac vice) 1100 L Street, N.W.
Seth Ard (admitted pro hac vice) Washington, D.C. 20005
Elisha Barron (admitted pro hac vice) Phone: (202) 305-0878
Ryan C. Kirkpatrick (admitted pro hac vice) E-mail: [email protected]
SUSMAN GODFREY L.L.P.
1301 Avenue of the Americas, 32nd Fl Counsel for Defendants
New York, New York 10019
Tel.: (212) 336-8330
[email protected]
[email protected]
[email protected]
[email protected]

Daniel J. Shih (admitted pro hac vice)


SUSMAN GODFREY L.L.P.
1201 Third Avenue, Suite 3800
Seattle, Washington 98101
Tel.: (206) 516-3880
[email protected]

Richard B. Katskee #27636


Kenneth D. Upton, Jr. (admitted pro hac vice)
AMERICANS UNITED FOR SEPARATION
OF CHURCH AND STATE
1310 L Street NW, Suite 200
Washington, DC 20005
Tel: (202) 466-3234
[email protected]
[email protected]

Counsel for Plaintiff

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