Correspondence from Horton to Counsel with Filed Appeal Documents
Public Court Documents
April 27, 1995
25 pages
Cite this item
-
Case Files, Sheff v. O'Neill Hardbacks. Correspondence from Horton to Counsel with Filed Appeal Documents, 1995. 331e4ec4-a146-f011-8779-7c1e5267c7b6. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/c33b0d4a-ce39-4823-8181-c5fbb9e0244d/correspondence-from-horton-to-counsel-with-filed-appeal-documents. Accessed November 23, 2025.
Copied!
MOLLER, HORTON & SHIELDS, P.C.
ATTORNEYS AT LAW
90 GILLETT STREET
HARTFORD, CONNECTICUT 06105
SUSAN M. CORMIER TELEPHONE
WESLEY W. HORTON (203) 522-8338
KIMBERLY A. KNOX TELECOPIER
WILLIAM R. MOLLER* (203) 728-0401
KAREN LL. MURDOCH
CHRISTY SCOTT
ROBERT M. SHIELDS, JR.
*ALSO ADMITTED IN DISTRICT OF COLUMBIA April: 27, 1995
To All Plaintiffs Lawyers:
Enclosed are the appeal documents which have been filed in
Hartford Superior Court and the Appellate Court today. Enclosed
also is Chris Hansen’s pro hac vice motion which Judge Thelma
Santos granted this morning before the appeal was filed. Our
brief is due on June 12, 1995. I will let you know as soon as I
hear from the Supreme Court clerk.
Very truly yours,
Wi,
Wesley W. Horton
WWH: jt
cc: Ms. Elizabeth Horton-Sheff
APPEAL - CIVIL
JD-SC-28 New 8-92 (Old JD-SC-10) INSTRUCTIONS
P.B. §§ 65, 4012, 4013, 4034 1. Prepare on typewriter.
C.G.S. §§ 51-1971, 52-470 2. Sign "Appeal" and "Certification" sections below.
3. Submit in triplicate to the trial court clerk with sufficient additional copies for
TO SUPREME COURT each other counsel of record; serve copies on opposing counsel.
TO APPELLATE COURT 4. File a copy of the endorsed appeal form together with the papers required by
P.B. § 4013 with the Appellate Clerk.
NAME OF CASE (State full name of case as appears in judgment file)
; nd ; See Attached sheet for ' Milo Sheff, et al. v. William A. O'Neill, et al. { thes parties )
CLASSIFICATION OTHER (Speci
: CROSS [] JOINT AMENDED CONSOLIDATED STIPULATION FOR CORRECTED/AMENDED (Specky)
APPEAL APPEAL APPEAL APPEAL APPEAL RESERVATION APPEAL FORM
. TRIED TO TRIAL COURT LOCATION
X] court [] sury | Hartford
TRIAL COURT JUDGE LIST ALL TRIAL COURT DOCKET NUMBERS
Hammer, J. CV_89-0360977S
JUDGMENT FOR (Where there are multiple parties, specify any individual party(ies) for whom judgment may have been entered.)
[ JpLaNTIFE KX] DEFENDANT [| OTHER
TRIAL COURT JUDGMENT DATE DATE FOR FILING APPEAL EXTENDED TO |DATE OF ISSUANCE OF NOTICE ON ANY ORDER ON ANY MOTION WHICH
HISTORY 4/1 2/95 2 WOULD RENDER JUDGMENT INEFFECTIVE
CASE TYPE
[ Jouvenite XJ civil: Major/Minor code M50 [JFamiLy [| WORKERS COMPENSATION
[] HABEAS CORPUS [ ]oTHER
DATE CERTIFICATION GRANTED
For habeas corpus or zoning appeals indicate the date certification was granted:
ABPER FILED BY (Where there are multiple parties, specify the name of the individual party(ies) filing this appeal.)
PLAINTIFFS |] DEFENDANT [ ]oTHER
who appeal
FROM (the action which constitutes the final judgment): Judgment for defendants entered
APPEAL April 12, 1995
IF TO SUPREME COURT, STATUTORY BASIS FOR THE APPEAL (C.G.S. § 51-199)
i
BY (Signaturejof attorney pr e Pag ~~. TELEPHONE NO. JURIS NO. (If applicable)
X 522-8338 38478
TYPE NAME AND ADDM®ESS OF PERSON SIGNING ABOVE (This is your appearance, see P.B. § 4034)
Wesley W Horton, 90 Gillett Street, Hartford, CT 06105
"X" ONE IF APPLICABLE
APPEARANCE [] Pursuant to P.B. § 4034, counsel who files this appeal shall be deemed to have appeared in addition to counsel of
record who appeared in the trial court.
NAME OF COUNSEL AND JURIS NO.
[] Pursuant to P.B. § 65 counsel who files
this appeal is appearing in lieu of:
INDICATE WHICH OF THE FOLLOWING ARE ATTACHED BY PLACING AN *X" IN THE PROPER BOX(ES)
1. PRELIMINARY STATEMENT OF THE ISSUES K] 4. DOCKET SHEETS (DS-1)/DOCKETING STATEMENT
ATTACHMENTS |[X] 2. PRELIMINARY DESIGNATION OF PLEADINGS ~~ [X|5. STATEMENT FOR PREARGUMENT CONFERENCE
3. COURT REPORTER'S ACKNOWLEDGEMENT/
CERTIFICATE RE TRANSCRIPT
NAME OF PERSON RECOGNIZED TO PROSECUTE IN THE AMOUNT OF $400 TELEPHONE NO.
Jane Tedford Dube 228-4626
ADDRESS OF PERSON NAMED ABOVE
RECOGNIZANCE| 71 Northam Road, Hebron, CT 06231
SIGNED (O Je taking recognizance; $X" proper box) Comm. Sup. Court DATE SIGNED
LANL 1) Cou Sie April 27, 1995
| HEREBY CERTIFY THA PY HEREOF WAS SERVED ON |DATE SIGNED (I
nffividual counsej
CERTIFICATION | ALL COUNSEL AND PRO SE PARTIES OF RECORD IN ACCOR-
(P.B. § 4012) DANCE WITH THE PROVISIONS OF P.B. § 4014 ON: 4/27/95 X
To be completed by trial court clerk
L] Entry Fee Paid [1] No Fees Required Security furnished: [] Cash [d Bond
[1] Record Fee Paid [] Fees, Costs, and Security waived by Judge: [J Recognizance
(A.C. only)
(Judge) (Date)
ini (Clerk of trial court)
Additional Plaintiffs:
Wilda Bermudez
Pedro Bermudez
Eva Bermudez
Oskar M. Melendez
Waleska Melendez
Martin Hamilton
Janelle Hughley
Neiima Best
Lisa Laboy
David William Harrington
Michael Joseph Harrington
Rachel Leach
Joseph Leach
Erica Connolly
Tasha Connolly
Michael Perez
Dawn Perez
Additional Defendants:
William A. O’Neill’s successor Governor of the State of
Connecticut
State Board of Education of the State of Connecticut
Abraham Glassman, A. Walter Esdaile, Warren J. Foley, Rita
Hendel, John Mannix, Julia Rankin, or their successor members of
the State Board of Education of the State of Connecticut
Gerald N. Tirozzi, or his successor Commissioner of the
Board of Education of the State of Connecticut
Francisco L. Borges, or his successor Treasurer of the State
of Connecticut
J. Edward Caldwell, or his successor Comptroller of the
State of Connecticut
CERTIFICATION
I hereby certify that a copy of the foregoing was mailed to the
following counsel of record on April 27, 1995:
Richard Blumenthal
Martha Watts Blumenthal
Bernard McGovern
STATE OF CONNECTICUT
110 Sherman Street
Hartford, CT 06106
WesTey W. HArton
MOLLER, HORTON & SHIELDS, P.C.
ATTORNEYS AT LAW
90 GILLETT STREET
HARTFORD, CONNECTICUT 06105
SusaN M. CORMIER TELEPHONE
WESLEY W. HORTON (203) 522-8338
KIMBERLY A. KNOX TELECOPIER
WILLIAM R. MOLLER* (203) 728-0401
KAREN L. MURDOCH
CHRISTY SCOTT
ROBERT M. SHIELDS, JR.
*ALSO ADMITTED IN DISTRICT OF COLUMBIA April 27, 1995
Michéle Angers, Deputy Chief Clerk
APPELLATE COURT
Drawer Z, Station A
Hartford, CT 06106
Re: Sheff, et al. v. O’Neill, et al.
Dear Ms. Angers:
Pursuant to P.B. §4024, the plaintiffs request that the Supreme
Court immediately transfer this appeal to the docket because it
involves a matter of great public importance.
- Very truly yours,
Wesley W. Horton
CERTIFICATION
I hereby certify that a copy of the foregoing was mailed to
Richard Blumenthal, Bernard McGovern and Martha Watts Prestley, State
of Connecticut, 110 Sherman Street, Hartford, CT 06106.
A.C
(CV 89-0360977S)
MILO SHEFF, ET AL. : APPELLATE COURT
VS.
WILLIAM A. O'NEILL, ET AL. : APRIL 27, 1895
PRELIMINARY STATEMENT OF ISSUES
Pursuant to P.B. §4013(a) (1), the plaintiffs intend to raise the
following issues: |
1. Did the court err in refusing to follow the construction of
Article First, §§1 and 20 and Article Eighth, §1 of the Connecticut
Constitution established in Horton v. Meskill, which held that the
state is required to assure to all of Connecticut’s public school
students an equal educational opportunity?
,. Did the court err in failing to recognize as "state action"
the state’s extensive involvement in public education in denying
plaintiffs’ claims of racial and ethnic segregation, unequal
educational opportunity and lack of a minimally adequate education?
3. Did the court err in failing to recognize that the state
constitution gives rise to an affirmative duty on the state to address
racial and ethnic segregation, unequal educational opportunity and
lack of a minimally adequate education and that the state failed to
act to remedy these constitutional and statutory deficiencies?
4% Did the admitted and undisputed evidence require the Court
as a matter of law to find that the students in the Hartford public
schools are not receiving an equal educational opportunity?
PLAINTIFFS, MILO SHEFF, ET Al.
By A A LIA
We W§/ Horton
MOLLFR, HORTON & SHIELDS, P.C.
90 Gillett Street
Hartford, CT 06105
(203) 522-8338
Juris No. 38478
John Brittain
UCONN Law School
65 Elizabeth Street
Hartford, CT 06105
Martha Stone
Philip D. Tegeler
CCLU i
32 Grand Street
Hartford, CT 06106
Christopher Hansen
ACLU
132 West 43rd Street
New York, NY 10013
Marianne Engelman Lado
Theodore Shaw
Dennis D. Parker
NAACP-LDF
99 Hudson Street
New York, NY 10013
Sandra Del Valle
Puerto Rican Legal Defense
99 Hudson Street
New York, NY 10013
Wilfred Rodriguez
NEIGHBORHOOD LEGAL SERVICES
1229 Albany Avenue
Hartford, CT 08102
CERTIFICATION
I hereby certify that a copy of the foregoing was mailed to the
following counsel of record on April 27, 1995:
Richard Blumenthal
Martha Watts Blumenthal
Bernard McGovern
STATE OF CONNECTICUT
110 Sherman Street
Hartford, CT 06106
Wo AAUETS
Wesléwy/W. Horton
A.C.
(CV 89-03609775)
MI1LO SHEFF, ET Al. : APPELLATE COURT
VS.
WILLIAM A. O/NEILL, ET AL. : APRIL 27, 1995
DESIGNATION OF PLEADINGS
Pursuant to P.B. §4013(a) (2), the plaintiffs designate the
following for the record on appeal:
1. Revised Complaint dated November 23, 1994 (#214)
2% Revised Answer dated November 25, 1994 (#218)
3. Reply dated November 28, 1994 (#217)
4. Motion to Strike and Ruling (#103)
Motion for Summary Judgment and Ruling (#149)
Memorandum of Decision (#222)
Judgment
Appeal
Preliminary Statement of Issues
PLAINTIFFS, MILO SHEFF, ET AL.
TT ——
Wesley ® HortOn
MOLLER, HORTON & SHIELDS, P.C.
90 Gillett Street
Hartford, CT 06105
(203) 522-8338
Juris No. 38478
John Brittain
UCONN Law School
65 Elizabeth Street
Hartford, CT 06105
co
Martha Stone
Philip D. Tegeler
CcCiU
32 Grand Street
Hartford, CT 06106
Christopher Hansen
ACLU
132 West 43rd Street
New York, NY 10013
Marianne Engelman Lado
Theodore Shaw
Dennis D. Parker
NAACP-LDF
99 Hudson Street
New York, NY 10013
Sandra Del Valle
Puerto Rican Legal Defense
99 Hudson Street
New York, NY 10013
Wilfred Rodriguez
NEIGHBORHOOD LEGAL SERVICES
1229 Albany Avenue
Hartford, CT 06102
CERTIFICATION
I hereby certify that a copy of the foregoing was mailed to the
following counsel of record on April 27, 1995:
Richard Blumenthal
Martha Watts Blumenthal
Bernard McGovern
STATE OF CONNECTICUT
110 Sherman Street
Hartford, CT 06106
™
Wes¥ey W. Horton
A.C.
(CV 89-0360977S)
MILO SHEFF, ET Al. : APPELLATE COURT
VS.
WILLIAM A. O'NEILL, ET Al. : APRIL 27, 1995
CERTIFICATE RE TRANSCRIPT
Pursuant to P.B. §4013(a) (3), the plaintiffs certify that they
intend to rely on the transcripts of the entire trial. All
transcripts have already been delivered to counsel.
PLAINTIFFS, MILO SHEFF, ET AL.
Wesl&G W. Horton
MOLLER, HORTON & SHIELDS, P.C.
90 Gillett Street
Hartford, CT. 06105
(203) 522-8338
Juris No. 38478
John Brittain
UCONN Law School
65 Elizabeth Street
Hartford, CT. 06105
Martha Stone
Philip D. Tegeler
CCLU
32 Grand Street
Hartford, CT 06106
Christopher Hansen
ACLU
132 West 43rd Street
New York, NY 10013
Marianne Engelman Lado
Theodore Shaw
Dennis D. Parker
NAACP-LDF
99 Hudson Street
New York, NY 10013
pe :
p
o
Sandra Del Valle
Puerto Rican Legal Defense
99 Hudson Street
New York, NY 10013
Wilfred Rodriguez
NEIGHBORHOOD LEGAL SERVICES
1229 Albany Avenue
Hartford, CT 06102
CERTIFICATION
I hereby certify that a copy of the foregoing was mailed to the
following counsel of record on April 27, 1995:
Richard Blumenthal
Martha Watts Blumenthal
Bernard McGovern
STATE OF CONNECTICUT
110 Sherman Street
Hartford, CT 06106
A.C.
(CV 839=038609778S)
MILO SHEFF, ET Al. - APPELLATE COURT
Vs.
WILLIAM A. O/NEILL, ET AL. : APRIL, 27,.1995
DOCKETING STATEMENT
Pursuant to P.B. §4013(a) (4), the plaintiffs state as follows:
(1) Plaintiffs:
Milo Sheff, 144 Mark Twain Drive, Hartford, CT
Wilda Bermudez, 378 Hillside Avenue, Hartford, CT
Pedro Bermudez, 378 Hillside Avenue, Hartford, CT-
Eva Bermudez, 378 Hillside Avenue, Hartford, CT
Oskar M. Melendez, 23 Webster Lane, Glastonbury, CT
Waleska Melendez, 23 Webster Lane, Glastonbury, CT
Martin Hamilton, 82 Westland Street, Hartford, CT
Janelle Hughley, 161 Martin Street, Hartford, CT
Neiima Best, 12 Deerfield Avenue, Hartford, CT
Lisa Laboy, 197 Bond Street, Hartford, CT
David William Harrington, 25 Windwood Road, West Hartford, CT
Michael Joseph Harrington, 25 Windwood Road, West Hartford, CT
Rachel Leach, 51 Beverly Road, West Hartford, CT
Joseph Leach, 51 Beverly Road, West Hartford, CT
Erica Connolly, 50 Tredeau Street, Hartford, CT
Tasha Connolly, 50 Tredeau Street, Hartford, CT
Michael Perez, 84 Tremont Street, Hartford, CT
Dawn Perez, 84 Tremont Street, Hartford, CT
Plaintiffs’ Counsel
Marianne Engelman Lado
Theodore Shaw
Dennis D. Parker
NAACP Legal Defense & Educational Fund
99 Hudson Street
New York, NY “10013
Sandra Del Valle
Puerto Rican Legal Defense & Educational Fund
99 Hudson Street
New York, NY 10013
Christopher A. Hansen
ACLU . .-
132 West 43rd Street
New York, NY 10036
|
| Martha Stone
| Philip Tegeler
| CCLU
|
| 32 Grand Street
Hartford, CT 06106
|
| John Brittain
| UNIVERSITY OF CONNECTICUT SCHOOL OF LAW
55 Elizabeth Street
| Hartford, CT 06103
| Wilfred Rodriguez
| Neighborhood Legal Services
| 1229 Albany Avenue
| Hartford, CT 06112
Wesley W. Horton
Moller, Horton & Shields, P.C.
90 Gillett Street
"Hartford, CT 06105
(203) 522-8338
Defendants:
William A. O’Neill, Governor of the State of Connecticut, Or his
successor :
State Board of Education of the State of Connecticut
Abraham Glassman, A. Walter Esdaile, Warren J. Foley, Rita
Hendel, John Mannix, Julia Rankin, or their successor members of the
State Board of Education of the State of Connecticut
Gerald N. Tirozzi, or his successor Commissioner of the Board of
Education of the State of Connecticut
Francisco L. Borges, or his successor Treasurer of the State of
Connecticut
J. Edward Caldwell, or his successor comptroller of the State of
Connecticut
|- |
|
Defendants’ Counsel:
Richard Blumenthal, Attorney General
Bernard McGovern, Asst. Attorney General
Martha Watts Prestley, Asst. Attorney General
STATE OF CONNECTICUT
110 Sherman Street
Hacvtford, CT 05105
(11) None
(1i1i) Yes
(1v) Not Applicable
PLAINTIFFS, MILO SHEFF, ET Al.
Wes ly) Ww. 2
MOLLER, HORTON & SHIELDS, P.C.
90 Gillett Street
Hartford, CT "06105
(203) 522-8338
Juris No. 38478
John Brittain
UCONN Law School
65 Elizabeth Street
Hartford, CT. 06105
Martha Stone
Philip D. Tegeler
CCLU
32 Grand Street
Hartford, CT 06106
Christopher Hansen
- ACLU
132 West 43rd Street
New York, NY 10013
Marianne Engelman Lado
Theodore Shaw
Dennis D. Parker
NAACP-LDF
99 Hudson Street
New York, NY 10013
Sandra Del Valle
Puerto Rican Legal Defense - :
99 Hudson Street
New York, NY 10013
Wilfred Rodriguez
NEIGHBORHOOD LEGAL SERVICES
1229 Albany Avenue
Hartford, CT 06102
CERTIFICATION
I hereby certify that a copy .of the foregoing was malled to the
following counsel of record on April 27, 1995:
Richard Blumenthal
Martha Watts Blumenthal
Bernard McGovern
STATE OF CONNECTICUT
110 Sherman Street
Hartford, CT 06106
iB ae LZ A { 3
W. Horton
@: rr cuent MATERIAL - CONFIDENTIAL
STATEMENT FOR PREARGUMENT CONFERENCE CONNECTICUT JUDICIAL BRANCH
APPELLATE CLERK
JD-AC-6 New 8-32
P.B.§§.4013, 4133
INSTRUCTIONS
231 CAPITOL AVENUE
1. Prepare on typewriter; serve copies on opposing counsel (P.B. § 4014).
PO. DRAWER Z, STATION A
2 List on the reverse side of form the names and addresses of opposing counsel and pro se STE !
parties that have been served with a copy of this form.
HARTFORD CT 06106
3. If you are the appellant, you are required to attach a copy of the trial court's written memo-
randum of decision or a transcript of the trial court's oral decision pursuant to P.B. § 4059.
4. Submit in duplicate to the Appellate Clerk at the address shown.
5. Retain a copy for yourself to bring to the conference.
NAME OF CASE(S)
FOR COURT USE ONLY (Docket Numbers)
Milo Sheff, et al. v. William A. O'Neill, et al,
CASE TYPE
M50
BRIEFLY DESCRIBE THE FINAL JUDGMENT/RULING APPEALED
Judgment for defendants
PARTY OR PARTIES APPEALING
All plaintiffs
ATTORNEY OR PRO SE PARTY FILING STATEMENT FOR PR
Wesley W. Horton/38478
ADDRESS (No., street, town, state and zip)
90 Cillett Street, Hartford, CT
TELEPHONE NO.
522-8338
EARGUMENT CONFERENCE/JURIS NO
06105
FILING STATUS
KA attorney [|PRosE KX APPELLANT [| CROSS-APPELLANT
the appeal and/or cross-appeal or, altern
ue on separate page if necessary.
atively, attach a copy of your Preliminary Statement of the
1. State the issues you intend to present on
Issues to this form (P.B. §§ 4005, 4013). Contin
gee Attached.
ellate Court, should it be transferred to the Supreme Court? X YES ] NO
2. If this appeal was filed in the App
great public importance.
The appeal involves a matter of
3. Would you be willing to waive oral argument in this case? [) YES X] NO (EXPLAIN BELOW)
The appeal involves a matter of great public importance.
decision? [ves [] NO (EXPLAIN BELOW)
4. Have you attached a copy of the memorandum of decision or a transcript of oral
NOTICE TO COUNSEL
preargument conference, may r
te with each other to assure atte
esult in the imposition of sanctions
The failure to file this form, or the failure to attend a
ndance at the conference.
(P.B.§4184). It is the duty of counsel to communica
arties of record in accordance with the provisions of Practice
| hereby certify that a copy of the above was mailed to all counsel and pro se p
Book section 4014
SIGNATURE OF INDIVI y
diy SIGN
3. Did the court err. in‘refusing to follow the construction of
Article First, §§1 and 20 and Article Eighth, §1 of the Connecticut
Constitution established in Horton v. Meskill, which held that the
state is required to assure to all of Connecticut’s public school
students an equal educational opportunity?
2. Did the court err in failing to recognize as "state action"
the state’s extensive involvement in public education in denying
plaintiffs’ claims of racial and ethnic segregation, unequal
educational opportunity and lack of a minimally adequate education?
3. Did the court err in failing to recognize that the state
constitution gives rise to an affirmative duty on the state to address
racial and ethnic segregation, unequal educational opportunity and
lack of a minimally adequate education and that the state failed to
act to remedy these constitutional and statutory deficiencies?
4. Did the admitted and undisputed evidence require the Court
as a matter of law to find that the students in the Hartford public
schools are not receiving an equal educational opportunity?
e
A
T
T
O
R
N
E
Y
S
AT
L
A
W
©
~
<
©
™
o
=
[2]
[os
=)
-
»
©
™M
I)
0
~
o~N
Yo)
Ie)
©
£y
Oe
ET)
pe
ao
o©
=
x
7
<=
zo SE
oT
oZ
TT
c ®
" =
ber
ow
oc
=x
1%)
Ea
—
Ww
-—
=
O
o
fo)
Ccve9-0360977S
MILO SHEFF, ET AL. SUPERIOR COURT
VS. JUDICIAL DISTRICT OF HARTFORD/
NEW BRITAIN AT HARTFORD
WILLIAM A. O'NEILL, ET AL. APRIL 27, 1995
MOTION FOR PERMISSION TO APPEAR PRO HAC VICE
Pursuant to P.B. §24, the undersigned, who is a member of good
standing of this Bar, moves that Christopher A. Hansen be admitted pro
hac vice to represent the plaintiffs in the above case. The reason for
this motion is that he is employed by the ACLU. Previously, Attorney
Helen Hershkoff, who will be resigning from the ACLU and Attorney Adam
Cohen who has already resigned from the ACLU appeared in this case pro
hac vice. Therefore the purpose of this motion is to replace the
Appearance of Attorneys Cohen and Hershkoff. Either I or other members
of the Connecticut Bar will be in attendance when they appear in Court
in this case.
A
Wesley W. Horton
MOLLER, HORTON & SHIELDS, ».C.
90 Gillett Street
Hartford, CT 06105
DEFENSE COUNSEL CONSENTS
TO THE GRANTING OF THIS MOTION
ry. 1h fe 4,
{rh 2 Watts Pre&tiss
XKssistant Attorney General
*
A
T
T
O
R
N
E
Y
S
AT
L
A
W
M
O
L
L
E
R
,
H
O
R
T
O
N
&
S
H
I
E
L
D
S
,
P.
C.
90
G
I
L
L
E
T
T
S
T
R
E
E
T
e
H
A
R
T
F
O
R
D
,
CT
0
6
1
0
5
e
(2
03
)
5
2
2
-
8
3
3
8
+
J
U
R
I
S
NO
.
3
8
4
7
8
Cv89-0360977S
MILO SHEFF, ET AL. SUPERIOR COURT
VS. : JUDICIAL DISTRICT OF HARTFORD/
NEW BRITAIN AT HARTFORD
WILLIAM A. O'NEILL, ET AL. : APRIL 24, 1995
AFFIDAVIT IN SUPPORT OF PRO HAC VICE MOTION
STATE OF CONNECTICUT)
)SsSs.
COUNTY OF HARTFORD )
CHRISTOPHER A. HANSEN, being duly sowrn, deposes and says:
1. I am an attorney in good standing, duly admitted to practice
in the State of New York. I am the Senior Staff Counsel of the ACLU,
132 West 43rd Street, New York, NY 10036. I make this affidavit in
support of my motion for admission to appear pro hac vice on behalf of
the plaintiffs in the above-captioned case.
2. I am admitted to practice in the United States Supreme Court,
New York Courts and a number of federal courts of appeal and district
courts. I have been admitted pro hac vice in other state courts.
3. I have never been sanctioned, reprimanded or otherwise
disciplined by the court.
4. The ACLU has provided representation to the plaintiffs
throughout the pendency of the instant case.
e
A
T
T
O
R
N
E
Y
S
AT
L
A
W
foo!
~
<
©
[3
0
=
2)
oc
-
—
LJ
©
™
I)
0
~N
~
Ye)
™
©
oN
Oe
ET)
wn 2
a ©
rR
=
EO
o
Fr
zo
or
T <
o<
I
po
oc *
- [-—
ow 1p!
Ow
oc
2
wn
[—
—
bk
et
Oo
©
o
5. The ACLU has brought many civil actions addressing the
educational needs of African-American children. My work at the ACLU
has consisted primarily of complex litigation. I believe that I can
bring expertise and assistance to this case, on behalf of the
plaintiffs, which might contribute to the conduct of the litigation.
For this reason, I respectfully urge the Court to grant the motion and
permit me to appear pro hac vice.
( / zz Zr
Christoper A. Hansen
Subscribed and sworn to before
me this 24th day of April, 1995
1
Wesley W. Horton
Commissionrof the Superior Court
CERTIFICATION
I hereby certify that a copy of the foregoing was faxed and
mailed to the following counsel of record on April 27, 1995:
John Brittain
UNIVERSITY OF CONNECTICUT
School of Law
65 Elizabeth Street
Hartford, CT 06103
Martha Stone
Philip D. Tegeler
CCLU
32 Grand Street
Hartford, CT 06106
Helen Hershkoff
-Adam S. Cohen
ACLU
132 West 43rd Street
New York, NY 10036
e
A
T
T
O
R
N
E
Y
S
AT
L
A
W
Theodore Shaw
Dennis D. Parker
NAACP Legal Defense & Educational
Fund, Inc.
99 Hudson Street
New York, NY 10013
foo)
~
<t
(08)
™
Oo
br.4
2)
oc
=)
=
®
©
2)
™
<<
oN
oN
Yo)
130)
Oo
oN
Oe
ET)
we
ao
o©
=
Io
wv
0)
<r
Zo X=
ec <
oo
ho
x
oc ®
or Is
=
x
=x
wn
be
—-
us
.
%,
®)
o
Sandra Del Valle
Puerto Rican Legal Defense &
Educational Fund, Inc.
99 Hudson Street
New York, NY 10013
Wilfred Rodriguez
NEIGHBORHOOD LEGAL SERVICES
1229 Albany Avenue
Hartford, CT 06102
hw / Mt
Wesley W¢ Horton