Concurrence with Emergency Application for Stay and Request for Immediate Consideration
Public Court Documents
July 12, 1972
2 pages
Cite this item
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Case Files, Milliken Hardbacks. Concurrence with Emergency Application for Stay and Request for Immediate Consideration, 1972. 751dc656-53e9-ef11-a730-7c1e5247dfc0. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/586f7f48-614d-4e9d-a823-668086690f3d/concurrence-with-emergency-application-for-stay-and-request-for-immediate-consideration. Accessed November 28, 2025.
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IN THE UNITED STATES COURT OF APPEALS
FOR THE SIXTH CIRCUIT .
WILLIAM G. MILLIKEN, et al.,
Appellants
v s .
RONALD BRADLEY, et al.,
Appellees
No.
CONCURRENCE WITH EMERGENCY APPLICATION
OF STATE DEFENDANTS FOR STAY AND REQUEST
FOR IMMEDIATE CONSIDERATION_____________
NOW COME Defendants-Intervenors Allen Park Public Schools,
et al., Grosse Pointe Public Schools, and Southfield Public
Schools, and declare their CONCURRENCE in the Emergency Appli
cation for Stay and Request for Immediate Consideration of
State Defendants' Emergency Application for Stay, filed with
this Court by William G. Milliken, et.al.
The undersigned have heretofore filed with the United
States Court of Appeals for the Sixth Circuit a Notice of
Appeal from the Order of the District Court dated June 14,
1972. The undersigned have also on July 12, 1972 filed with
the District Court an Emergency Motion for Stay or Suspension
of Proceedings. As of this time, the District Court has not
ruled on such Emergency Motion.
Because Defendants-Intervenors Motion for Stay and the
Memorandum filed in the District Court in support thereof,
bear directly on the matter presented to this Court by the
State Defendants' Emergency Motion for Stay, a copy ot; said
Motion and Memorandum in Support is attached to this Con
currence as an Exhibit. Defendants-Intervenors state that
said Motion and attached Memorandum specify their reasons
for concurrence in State Defendants' Emergency Application
for Stay.
The undersigned would have no objection to this Court
treating this Concurrence and attached Exhibit as a Motion
for Stay by Defendants-Intervenors, at this time, and con
sidering same simultaneously with State Defendants' Emergency
Application for Stay, if such procedure should be deemed
by this Court most expeditious.
Respectfully submitted,
BUTZEL, LONG, GUST, KLEIN & VAN ZILE
William M. Saxton
John B. Weaver
Robert M. Vercruysse
1881 First National Building
Detroit, Michigan 48226
963-8142
Attorneys for Defendant Allen
Park Schools, et al
HILL, LEWIS', ADAMS, GOODRICH & TAIT
Douglas H./West
Robert B./Webster
3700 Penobscot Building
Detroit, Michigan 48226
962-6485
Attorneys for Defendant Grosse
Pointe Public Schools
CONDIT AND Me GARRY,' P.C.
By— — : :— 11- ' 1— i. ‘~ * Z L -------------Richard P'. Condit
860 W. Long Lake Road
Bloomfield Hills, Michigan 48013
645-5205
Attorneys for Defendant Bloomfield
Hills Public Schools
Dated: July 12, 1972