Plaintiffs' Motion for an Order Requiring Defendants to Cooperate and Pay for Reasonable Costs of Plaintiffs' Desegregation Plan

Public Court Documents
March 31, 1972

Plaintiffs' Motion for an Order Requiring Defendants to Cooperate and Pay for Reasonable Costs of Plaintiffs' Desegregation Plan preview

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Plaintiffs' Motion for an Order Requiring State Defendants to Cooperate Fully and Openly and for State Defendants to Pay for the Reasonable Costs of a Plan of Metropolitan Desegregation Prepared by Plaintiffs

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  • Case Files, Milliken Hardbacks. Plaintiffs' Motion for an Order Requiring Defendants to Cooperate and Pay for Reasonable Costs of Plaintiffs' Desegregation Plan, 1972. 5703d712-53e9-ef11-a730-7c1e5247dfc0. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/d16b004c-0415-4c67-9e7d-8bef3ebda220/plaintiffs-motion-for-an-order-requiring-defendants-to-cooperate-and-pay-for-reasonable-costs-of-plaintiffs-desegregation-plan. Accessed August 19, 2025.

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    UNITrD STATES DISTRICT COURT 
EASTERN DISTRICT OF MICHIGAN 

SOUTHERN DIVISION

RONALD BRADLEY, et al, )
)

Plaintiffs, )
)

-vs- )
)

WILLIAM G. MILLIKEN, et £.1, )
)

Defendants, )
• )

DETROIT FEDERATION OF TEACHERS, )
LOCAL #231, AMERICAN FEDERATION )
OF TEACHERS, AFL-CIO, )

)
Defendant- )
Intervenor )

)
and ).

)
DENISE MAGDOWSKI, et al, )

)
Defendant- )
Intervener )

1

Civil Action No. 

35257

PLAINTIFFS * MOTION FOR AN ORDER. REQUIRING 
STATS DEFENDANTS TO COOPERATE FULLY AID OPENLY 

AND FOR STATE DEFENDANTS TO PAY FOR THE REASONABLE COSTS 
OF A PLAN OF METROPOLITAN DESEGREGATION PREPARED BY PLAINTIFFS.

On the basis of the entire record in the action (and particularly 

Exhibits M-3 to M-9 ^3tate "Plans^/j Hearing re Metropolitan Plans 

Tr. 1-473, and Dr. Porter’s Deposition), together with the memorandum of 

law filed herewith in support of this motion and the arguments of counsel, 
plaintiffs move this Court for an order (l) requiring the State Defendants, 

their agents, servants, and all persons in active concert or participation 

with them having actual notice of the Court's Order to cooperate fully and 

openly with the plaintiffs' experts in the preparation of a plan of 
metropolitan school desegregation and (2) requiring the State Defendants 

to pay for the reasonable costs of preparation of such plan.*'

* The state defendants' attorney at the presentation of this motion in 
oral form has already objected on the record to the second part of 
plaintiffs' motion. Hearings re Metropolitan Plans Tr. 370-371, 373.



Respect fully submitted,

f

PAUL R. DIKOND
J. HAROLD FLANNERY
ROBERT PRESSMAN
Center for Law & Education
Harvard University
Cambridge, Massachusetts 02138

LOUIS R. LUCAS 
WILLIAM. E. CALDWELL 
Ratner,- Sugarmon So Lucas 
Commerce Title Building 
Memphis, Tennessee 38103 ■
NATHANIEL R. JONES 
General Counsel^ N.A.A.C.P.
1790 Broadway
New York, New York 10019

E. WINTHSR MCCR00M 
3245 Woodburn Avenue 
Cinncinnati, Ohio 45207

JACK GREENBERG 
NORMAN J. CHACHKIN 
10 Columbus Circle 
New York, New York 10019

March 31, 1972

Certificate of Service

I, Paul R. Dimond, of counsel for plaintiffs, hereby certify that

I have served the foregoing motion upon all counsel of record by mailing

copies, postage prepaid, to them on March 31, 1972

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