DINE CITIZENS AGAINST RUINING OUR ENVIRONMENT v. KLEIN

No. 07-cv-1475-JLK.

DINÉ CITIZENS AGAINST RUINING OUR ENVIRONMENT, SAN JUAN CITIZENS ALLIANCE, Plaintiffs, v. AL KLEIN, in his official capacity as Western Regional Director, Office of Surface Mining Reclamation and Enforcement, Denver, Colorado, OFFICE OF SURFACE MINING RECLAMATION AND ENFORCEMENT, a federal agency within the U.S. Department of Interior, Defendants, ARIZONA PUBLIC SERVICE and BHP NAVAJO COAL COMPANY, Intervenors.

United States District Court, D. Colorado.

April 3, 2012.


Attorney(s) appearing for the Case

Dine Citizens Against Ruining Our Environment, Plaintiff, represented by Brad A. Bartlett , Western Energy Justice Project & Matthew Gilbert Kenna , Western Environmental Law Center-Durango.

San Juan Citizens Alliance, Plaintiff, represented by Brad A. Bartlett , Western Energy Justice Project & Matthew Gilbert Kenna , Western Environmental Law Center-Durango.

Al Klein, in his official capacity as Western Regional Director, Office of Surface Mining Reclamation and Enforcement, Denver, Colorado, Defendant, represented by Jamie L. Mendelson , U.S. Attorney's Office-Denver.

Office of Surface Mining Reclamation and Enforcement, a federal agency within the U.S. Department of Interior, Defendant, represented by Jamie L. Mendelson , U.S. Attorney's Office-Denver.

Arizona Public Service Company, Intervenor Defendant, represented by Brian H. Potts , Foley & Lardner, LLP-Madison, Paul Bargren , Foley & Lardner, LLP-Milwaukee, Douglas B. Clark , Foley & Lardner, LLP-Madison & Thomas L. Shriner, Jr. , Foley & Lardner, LLP-Milwaukee.

BHP Navajo Coal Company, Intervenor Defendant, represented by Jonathan William Rauchway , Davis Graham & Stubbs, LLP-Denver, Scot W. Anderson , Davis Graham & Stubbs, LLP-Denver, William C. Scott , Modrall, Sperling, Roehl, Harris & Sisk, P.A. & Walter E. Stern, III , Modrall, Sperling, Roehl, Harris & Sisk, P.A..


ORDER

JOHN L. KANE, Senior District Judge.

Having reviewed the parties' Stipulation of Settlement (doc. 171) of Plaintiffs' Motion for Litigation Costs, Including Attorneys Fees (doc. 158), the parties' Stipulation for Settlement is hereby ACCEPTED and GRANTED. The Court will retain limited jurisdiction to ensure compliance with the stipulated agreement, and the Plaintiffs shall notify the Court on or before June 4, 2012 when the...

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