Tracy White
đź“§ from White
Dear Mr. Isaac, Alice Jayne is my paralegal, who will be helping with document collection and production. I do not feel comfortable copying Mr. Tribble and do not plan to do so.
Tracy White
Dear Mr. Isaac, Alice Jayne is my paralegal, who will be helping with document collection and production. I do not feel comfortable copying Mr. Tribble and do not plan to do so.
ODJ
Who is Alice Jayne (alice.jayne@doj.oregon.gov), and why has the State omitted Br. Timothy Tribble from this correspondence? ECF No. 27, filed and served on all counsel May 29, 2026, eleven days prior to this transmittal, formally noticed Br. Timothy's role and requested his inclusion
6-25-CV-01159-MC
The State Defendants (Rep. Shelly Boshart Davis and Renee Perry) hereby submit their initial disclosures pursuant to Fed. R. Civ. P. 26(a). By disclosing this information, the State Defendants are not waiving any privileges and protections, including attorney-client privilege, work-product privilege, and anticipation of litigation protection. The
6-25-CV-01159-MC
Dear Mr. Isaac, Your email below does not correctly characterize my position in this matter. First, as you know, I represent the named State defendants. Nothing I say is intended as legal advice to you. Second, I do not believe a discovery plan is required in this case.  FRCP 26(
ODJ
Mx White, Thank you for the call this morning. I want to memorialize the substance of our conference and confirm the path forward. During our call, I presented the discovery plan draft attached to this thread ("20260526 discovery plan draft.pdf") and invited your feedback. The only substantive
6-25-CV-01159-MC
Plaintiff Logan Martin Isaac, proceeding pro se, respectfully submits this voluntary notice regarding Defendants' Answer and Affirmative Defenses filed March 12, 2026. ECF No. 20. Plaintiff does not file this notice as a required pleading under Fed. R. Civ. P. 7(a), which imposes no obligation on Plaintiff to
6-25-CV-01159-MC
Defendants, except the unnamed Doe Defendants, by and through the undersigned, in response to Plaintiff’s Second Amended Complaint, admit, deny, and allege as follows: 1. Senator Manning has been dismissed as a defendant in this action by Court Order, ECF No. 14 (Jan. 22, 2026) (“Order”). Therefore, Defendants deny
6-25-CV-01159-MC
Re: Logan Martin Isaac v. Perry, et al.U.S.D.C. 6:25-cv-01159-MC Notice of Representation of Counsel Dear Mr. Isaac: The above-captioned matter has been referred to me for representation of Shelly Boshart Davis, Renee Perry, and, to the extent still relevant, Senator James
6-25-CV-01159-MC
Self-represented Plaintiff, Logan Martin Isaac, proceeding in forma pauperis ("IFP"), brought this action against Oregon legislators and legislative staff who allegedly deprived him of his constitutional rights. Compl., ECF No. 1. The Court screened Plaintiff's Complaint and First Amended Complaint, Am. Compl., ECF No. 9
Oregon
COMES NOW Plaintiff Logan Martin Isaac, appearing pro se and in forma pauperis, and submits this Second Amended Complaint pursuant to the Court's November 26, 2025 Opinion and Order (ECF No. 12), which granted leave to amend identified deficiencies. I. INTRODUCTION This is a civil rights action under
6-25-CV-01159-MC
MCSHANE, Judge: Self-represented Plaintiff, Logan Martin Isaac, proceeding in forma pauperis ("IFP"), brought this action against Oregon legislators and legislative staff who allegedly deprived him of his constitutional rights. Compl., ECF No. 1. Following screening of his Complaint under 28 U.S.C. § 1915(e)(2)(B)
6-25-CV-01159-MC
INTRODUCTION 1. This is a civil rights action brought under 42 U.S.C. §§ 1983 and 1985(3) to redress violations of Plaintiff's rights under the First and Fourteenth Amendments to the United States Constitution. 2. Plaintiff Logan Martin Isaac is a disabled Iraq war veteran who has