Plaintiffs: For Her
Plaintiffs: For Her
Plaintiffs: For Her
Plaintiffs
v
1.
response
is required.
Any
2.
The City admits the allegations in Paragraph 2 of the Complaint The City admits the allegations in Paragraph 3 of the Complaint The City admits the allegations in Paragraph 4 of the Complaint The City admits the allegations in Paragraph 5 of the Complaint The City admits the allegations in Paragraph 6 of the Complaint The City admits the allegations in Paragraph 7 of the Complaint
4
5
6
7
8.
she
is sued in her official capacity only. Dr. Jones's duties and responsibilities as vital statistics registrar are stated in Chapter 3705 of the Ohio Revised Code and the
administrative regulations promulgated by the Ohio Department of Health and the
state's vital statistics registrar. The City denies the remaining allegations of
Paragraph
I of the Complaint
Obergefell and Arthur were married in Maryland. The City lacks knowledge or
information sufficient to form a belief about the truth of the remaining allegations in Paragraph 13 of the Complaint
L4. 15.
about the truth of the allegations in Paragraph 14 of the Complaint The City admits the aliegations in Paragraph 15 of the Complaint
16. 77.
Ives died of natural causes at University Hospital on August 27, 20L3. The City
about the truth of the allegations in Paragraph 18 of the Complaint. The City admits the allegations in Paragraph 19 of the Complaint
death certificate was issued consistent with the Court's order. The City lacks
knowledge or information sufficient to form a belief about the truth of whether the
2l
of the Complaint.
The City admits the allegations in Paragraph 23 of the Complaint The City admits the allegations in Paragraph24 of the Complaint. The City admits the allegations in Paragraph 25 of the Complaint The City admits the allegations in Paragrapln 26 of the Complaint. The City admits the allegations in Paragraph 27 of the Complaint.
27.
The City admits the allegations in Paragraph 28 of the Complaint. The City admits the allegations in Paragraph 29 of the Complaint.
constitution and laws of the state of Ohio. The laws at issue are state laws. The
City of Cincinnati does not have any municipal laws treating same-sex marriages
differently from opposite-sex marriages. Rather, the City of Cincinnati has shown
"John Arthur and James Obergefell Day," in recognition of the initial Plaintiffs'
marriage. The ceremonial proclamation states that "John and Jim are a shining
example of why LGB couples should be treated equally, under the law,
in
every
state." Additionally, the City last year extended health care benefits to permit
employees
same
benefits as married couples. Eight of nine Members of Council supported the change. See, e.g., Cincinnati City Council Motion (Apr. 30, 2012) (Cincinnati
Doc.
in
Charter to repeal Article XII, which had prohibited the City from giving legal
protections based on sexual orientation. See Cincinnati Ordinance No. 277-2004
32.
34.
the City issued a death certificate for Michener's death pursuant to a Temporary
Restraining Order entered by the Court (Doc. 23). The City lacks knowledge or information sufficient to form a belief about the truth of the remaining allegations
35.
Dr. Jones's duties and responsibilities as vital statistics registrar are stated in
Chapter 3705 of the Ohio Revised Code and the administrative regulations
promulgated by the Ohio Department of Health and the state's vital statistics
the
36.
Dr. Wymyslo's duties and responsibilities are defined by Ohio law and denies the
allegations in Paragraph 36 to the extent they are inconsistent with this response.
37.
Dr. Jones's duties and responsibilities as vital statistics registrar are stated in
Chapter 3705 of the Ohio Revised Code and the administrative regulations
promulgated by the Ohio Department of Health and the state's vitai statistics
38.
Dr. Jones's duties and responsibilities as vital statistics registrar are stated in
Chapter 3705 of the Ohio Revised Code and the administrative regulations
promulgated by the Ohio Department of Health and the state's vital statistics
39. 40.
the extent
it
the constitution and laws of the state of Ohio. The laws at issue are state laws.
47.
Mr. Grunn is a licensed funeral director and that his duties as a licensed funeral
director are stated in Chapter 3705 of the Ohio Revised code and the administrative
regulations promulgated by the Ohio Department of Health and the state's vital statistics registrar. The City denies the remaining allegations of Paragraph 4I of the Complaint to the extent they are inconsistent with this response.
Mr. Grunn's duties and responsibilities as a licensed funeral director are stated in Chapter 3705 of the Ohio Revised code and the administrative regulations
promulgated by the Ohio Department of Health and the state's vital statistics
48. 49.
50.
51.
With regard to the Prayer for Relief in the Complaint, the City denies
that Plaintiffs' are entitled to their reasonable costs, expenses, or attorney fees, or
any form of monetary relief from Dr. Jones or the City of Cincinnati.
AFFIRMATIVE DEFENSES
52. The City denies each and every statement, allegation, and averment
contained in the Complaint that is not specifically admitted to be true
53. Plaintiffs'failed
55. 56.
The provisions of Chapter 2744 of the Ohio Revised Code bar some or
any
in Rules 8 &
Procedure that may become available or apparent during the course of discovery
and hereby reserve the right to amend their answer to assert such defenses
57.
The City reserves the right to raise any other defenses as shall become
manifest during or upon completion of discovery and hereby reserves the right to
amend its answer to assert such defenses
Respectfully submitted,
E-mail:
Fax.
CERTIFICATE OF SERVICE
hereby certify that the foregoing was filed on October 11, 2013, using the Court's CM/ECF system, which will deliver electronic notification of the filing to all counsel of record.