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04-20-23 Multistate Letter re HUD Fair Housing Rule.pdf
affirmatively to further the policies” of the FHA.4 The FHA not only
sought to expand housing choices for protected class members by prohibiting discrimination, but
also sought to break down residential segregation by building a racially integrated country.5...
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03_14_23_Letter_to_WH_on_DOL_ERISA_Rule_2.pdf
Res. 8)
Dear Mr....
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02716037862.pdf
I
ARGUMENT .................................................................................................... 5
I....
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021_TRO.pdf
reasons explained orally at the hearing, it is hereby:
ORDERED that plaintiff’s Motion for a Temporary Restraining Order, ECF No. 2, is
GRANTED; it is further
ORDERED that defendants are ENJOINED from implementing or enforcing Sections
1, 3, and 5...
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021_OrderDenyingEmergMotStayPendingAppeal.pdf
On December 19,
2025, the district court granted summary judgment to Plaintiff States, finding the
grant discontinuations were arbitrary and capricious and contrary to law under the
Administrative Procedure Act (APA), 5 U.S.C. § 551 et seq....
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02-21-2025 Filed PFLAG v. Trump - Amicus Brief.pdf
.: (510) 879-0011
Fax: (510) 622-2270
Kathleen.Boergers@doj.ca.gov
Attorneys for the State of California
Case 8:25-cv-00337-BAH Document 74 Filed 02/21/25 Page 1 of 20
ii
TABLE OF CONTENTS
INTRODUCTION AND STATEMENT OF INTERESTS...
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01_WPATH v. FTC PI Amicus Brief 3.17.26 FOR FILE.pdf
Amici States and our clinicians regularly evaluate and rely on medical
guidance and policy statements issued by professional organizations. ......................5
C....
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01_ES v. FTC PI Amicus Brief 3.13.26 FINAL.pdf
Amici States regularly evaluate and rely on medical guidance and policy
statements issued by professional organizations. .......................................................5
C....
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015_StatesAmici.pdf
Hill,
482 U.S. 451 (1987) ................................................................................ 8
Legal Servs. Corp v....
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01411380540.pdf
The States further move under 5 U.S.C. § 705 for a stay of U.S.
Customs and Border Protection’s Cargo Systems Messaging Service # 67844987 - Imposing
Temporary Section 122 Duties, issued on February 23, 2026.
A proposed order is enclosed....
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01. COMPLAINT PP.pdf
Res. 14” (the Defund Provision).
5. The Defund Provision is a stand-alone provision that eliminates the use of federal
funds for any health care obtained at Planned Parenthood health centers....
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01 Illinois v. HUD.Complaint.pdf
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1
Complaint for Declaratory and Injunctive Relief
ROB BONTA
Attorney General of California
MICHAEL L....
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01 - Complaint.pdf
(a Saturday), the period during which State payment errors are waived for the purpose of
calculating their payment error rate would end, in violation of the agency’s own regulations that
require a 120-day period in which those errors are excluded.
5....
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0093 Notice of Withdrawal of Motion for Preliminary Injunction.pdf
Pursuant to paragraph 5 of the Declaration of Lawrence A. DeMonico (ECF 65-1), the
RBT Defendants will not sell redistributed FRTs into any of the Plaintiff States, directly or
indirectly.
c....
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006 - Joint Motion for Entry of Stipulated Order + Proposed Settlement.pdf
Plaintiffs filed their Complaint for Permanent Injunction, Monetary Relief, and
Other Relief on December 19, 2024, alleging that Defendants violated Section 5(a) of the FTC
Act, 15 U.S.C. § 45(a), the Used Car Rule, 16 C.F.R. § 455, the Illinois Consumer...
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001 Complaint (FEMA BRIC).pdf
Hamilton’s purported termination of the BRIC program was unlawful for three
reasons.
5....
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001 03.11.2026 Complaint.pdf
Presidential Memorandum
claims that “the persistent lack of available data – paired with the rampant use of ‘diversity
statements’ and other overt and hidden racial proxies – continues to raise concerns about whether
race is actually used in practice.”
5....
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0001 Complaint.pdf
By February 2025, the EPA had entered into binding Grant Agreements with each
Plaintiff and obligated the funding to each Plaintiff from the Solar for All program.
5....