Stipulation

Public Court Documents
1977

Stipulation preview

2 pages

Date is approximate.

  • Case Files, Hatcher v. Methodist Hospital - Hardbacks. Stipulation, 1977. f84479e7-5384-f111-ab0f-7ced8d2181dd. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/209080f3-7f7d-4c15-8564-2998ae0d32fe/stipulation. Accessed October 10, 2026.

    Copied!

     [||cf3485f7-edb1-4de5-8618-f003360d0de4||] | + * {1 

| 

  

  

  

  

I | I 

| | | IN THE UNITED STATES DISTRICT COURT | 
{Hl | i . | 

| FOR THE NORTHERN DISTRICT OF INDIANA | 
| 

| HAMMOND DIVISION | 
I | 
{| 

| | 
| | 
| | 
| BERNICE TERRY, et al., : 
1 
I Plaintiffs, . 

| 
I Ve. 

: 
| 

| No. H 76-373 | 
|METHODIST HOSPITAL OF GARY, : | 
LINC. | 

| : | 
| Defendants. | 

| | 
| 

| | 
(Hl 

|RICHARD GORDON HATCHER, et al., : | 

| Plaintiffs, = | 

| 
| v. 
| No. H 77-154 
IMETHODIST HOSPITAL OF GARY, 

let al., 
{l   
  

Defendants. ; | 

: | 
| | 

I | 

| STIPULATION | 

| l. The Motion to Stay and Motion For a Protective Order of | 
‘ I | 

Defendant Joseph A. Califano, Secretary of the Department of Health) 

Ftacntion and Welfare, are withdrawn. | 

| 2. Plaintiffs have no objection to the motion of Defendant | 

Califano for an Extension of Time in which to respond to Plaintiffs! 
I | 
Interrogatories and Request for Production, Inspection and Copying | 

| 
of Documents. | 

| 

| | 
 



i 

i | PH { 
[§ | 1 | 
i} 

| 

i 3. Defendant Secretary of the Department of Health, 

  

Education and Welfare will comply with Plaintiffs' Request for 

|| Production, Inspection and Copying of Documents. 

  4. All future requests for documents in the above-entitled 

| action and in NAACP v. Wilmington Medical Center, U.S.D.C. D.Del., | 
  

Civil Action 76-298, will be made in the following manner: 

Plaintiffs in those actions will not duplicate any requests 

for discovery as to Defendant Secretary. Upon receiving any re- 

quests from plaintiffs in either action, Defendant Secretary will | 

: 
| forward two (2) copies of the responses and/or the documents to 
| 
H 

| 
| the plaintiffs who made the request. It will then be the obliga- | 

| 

| 
| tion of plaintiffs in either action to forward a copy of said 

  

{ 

|| responses and/or documents to plaintiffs in the second action. 

| : | 
| DA, |. Ap 
I Beth J. Lief 

I Counsel for Plaintiffs 

| 

  

Rebecca IL. Ross 

Counsel for Defendant 

Califano [||cf3485f7-edb1-4de5-8618-f003360d0de4||] 

Copyright notice

© NAACP Legal Defense and Educational Fund, Inc.

This collection and the tools to navigate it (the “Collection”) are available to the public for general educational and research purposes, as well as to preserve and contextualize the history of the content and materials it contains (the “Materials”). Like other archival collections, such as those found in libraries, LDF owns the physical source Materials that have been digitized for the Collection; however, LDF does not own the underlying copyright or other rights in all items and there are limits on how you can use the Materials. By accessing and using the Material, you acknowledge your agreement to the Terms. If you do not agree, please do not use the Materials.


Additional info

To the extent that LDF includes information about the Materials’ origins or ownership or provides summaries or transcripts of original source Materials, LDF does not warrant or guarantee the accuracy of such information, transcripts or summaries, and shall not be responsible for any inaccuracies.