DISTRICT COURT, CITY AND COUNTY OF DENVER, COLORADO Denver, CO 80203 (720) 508-6733 Reg No 42548 ZOE A LAIRD Special Assistant Attorney General Deputy District Attorney 4000 Justice Way, Suite 2525-A Castle Rock, CO 80109 (720) 874 8627 Reg No 46115 PHILIP W REINERT Special Assistant Attorney General Deputy District Attorney 201 W Colfax Ave, 9th Floor Denver, CO 80202 (720) 912 9285
17-0857 - 17-0857 Bill Public Safety Priorities Act - August 2 . . . 7 For an ordinance adopting a new Article VIII in Chapter 28 of the Denver Revised 8 Municipal Code, to be known as the Public Safety Enforcements Priorities Act 9 10 WHEREAS, on November 21, 2016, the Denver City Council unanimously passed Council 11 Proclamation 16-1184 “Standing Together with Denver Moving Forward”, declaring ourselves
Denver Photo Enforcement Program Denver Uses Cameras to Enforce Compliance with Speed and Red Light Laws The City and County of Denver employs a photo radar program and photo red light program, collectively known as the photo enforcement program The photo radar program, which began in 2002, uses camera equipment mounted on photo radar vans
Colorado Bureau of Investigation Case Master Report 2015-263 On March 7, 2015, Dr WILKERSON was advised Ms MOORE’s family was alleging her death was a homicide Dr WILKERSON responded the ligature furrow on Ms MOORE’s neck is a solid furrow and there were slip markings on the right side of her neck which are consistent with suicide hanging
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Defendant LaShanda Jones is the Director of the Denver Office of CBP, which is responsible for CBP actions affecting Plaintiff and others similarly situated, including actions affecting those traveling into Denver International Airport
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO why Denver police officers were conducting a new internal affairs investigation related to this case, it made no mention of these improper communications between the Denver City Attorney’s Office and the DPD IAB investigators
[CORRECTED] AMENDED CLASS ACTION COMPLAINT FOR VIOLATION that a 28,000 gallon oil spill in January 2017 near Denver had been caused by lack of trained personnel Then, at an internal meeting in February 2017 attended by a senior Colorado-based Anadarko executive, Anadarko decided not to inform Colorado regulators of the cause of the spill When a senior public relations employee present at the meeting
IN THE UNITED STATES DISTRICT COURT DISTRICT OF COLORADO 23 Defendant HealthONE of Denver, Inc (“HealthONE”) is a Colorado corporation, with its principal office address at One Park Plaza, Nashville, Tennessee 37203, with its registered agen t at The Corporation Compa ny, 1675 Broadway Suite 1200, Denver, Colorado 80202 Case 1:16-cv-00568 Document 1 Filed 03 08 16 USDC Colorado Page 5 of 26
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO Civil . . . 7 The actions of the Corizon nurses and doctor in the death of Tyler should be unsurprising by now Deliberate indifference in the face of serious medical conditions is company policy at Corizon, where profits take precedence over basic medical care Inhumanity is Corizon’s standard operating procedure
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLORADO 7 Plaintiff Caryn Ann Harlos is the Communications Director of the Libertarian Party of Colorado Revised Statute § 1-13-712 in Denver County, where Ms Bolick and Mr Madson posted or transmitted a picture of their completed ballot and where Ms Harlos intends to post her ballot