DOUGLAS G. DRY, et al., )
)
Plaintiffs, )
vs. ) No. CIV-97-113-B
)
UNITED STATES OF AMERICA, et. al. )
)
Defendants. )
Comes now the Plaintiffs and respond to Defendants Kenneth
Johnson and Blake Johnico's, motion to dismiss as follows:
Defendants Johnson and Johnico have asserted the same arguments
previously addressed by Plaintiffs in responses to motions to
dismiss filed by defendant Bob Rabon, defendant Robert L. Rabon,
defendant Kim Reed, defendant USA, defendant officers, and defendant
Hoppy Denison. In consideration of judicial economy, court administrative
economy, and to honor our Native beliefs of being good stewards
of Mother Earth by saving trees, Plaintiffs incorporate all prior
briefs filed in response to the above named defendants' motion
to dismiss, including all exhibits attached to such responses.
Respectfully submitted,
_________________________
SCOTT KAYLA MORRISON, OBA #017323
Attorney for Plaintiffs
103 _ West Main
Post Office Box 637
Wilburton, OK 74578
(918) 465-5033
On the ____ day of July, 1997, I certify that I placed in the U.S. Mail, first class postage pre-paid a true and correct of the above and foregoing Plaintiff's Response to Defendants Kenneth Johnson and Blake Johnico's Motion to Dismiss to the following:
Peter Bernhardt Eric Janzen
Assistant U.S. Attorney W.G. "Gil" Steidley, Jr.
333 W. Fourth Street, Ste. 3460 Steidley & Neal
Tulsa, OK 74103 P.O. Box 1165
McAlester, Oklahoma 74502
Alison Cave
Steidley & Neal
PO Box 1609
Muskogee, OK 74402
_________________________________
Scott K. Morrison