No. 24A1242

Richard Rynn, et al. v. UHS of Phoenix, LLC, et al.

Lower Court: Arizona
Docketed: 2025-06-16
Status: Presumed Complete
Type: A
Experienced Counsel
Tags: abuse-of-process administrative-agencies certiorari-review constitutional-due-process fraud state-court-proceedings
Key Terms:
Arbitration
Latest Conference: N/A
Question Presented (AI Summary)

Whether state courts and administrative agencies have systematically violated constitutional due process rights through abuse of process and fraudulent proceedings involving multiple related cases

Question Presented (OCR Extract)

No question identified. : PETITIONERS’ APPLICATION FOR EXTENSION OF TIME TO FILE PETITION FOR WRIT OF CERTIORARI Pursuant to Supreme Court Rule 30.4, Petitioners respectfully request a 60-day extension of time, to and including August 25, 2025, within which to file a Petition for a Writ of Certiorari from the decision of the Arizona Supreme Court issued on March 28, 2025. Absent an extension, the petition is currently due on June 26, 2025. Petitioners request this extension due to the complexity of the legal and factual issues involved, including claims of abuse of process, fraud, and ongoing constitutional violations that have not yet been fully addressed by the lower courts. There are also multiple related cases pending before this Court and the United States Court of Appeals for the Ninth Circuit, with unresolved motions and newly discovered evidence that materially affect the issues intended to be presented for review. The time requested is necessary to allow Petitioners to thoroughly review the record, analyze conflicting rulings between state and federal courts, incorporate recent developments, and prepare a comprehensive and properly supported Petition for Certiorari. Petitioners submit that this request is made in good faith and not for purposes of delay. Jurisdiction is proper in this Court pursuant to 28 U.S.C. § 1257(a). WHEREFORE, Petitioners respectfully request that the Court grant an extension of sixty (60) days, to and including August 25, 2025, to file the Petition for Writ of Certiorari, and grant such other and further relief as may be just and proper. RESPECTFULLY submitted. this 9% day of June 2025 MARCELLA RYNN Kn MATHEW RYNN CERTIFICATE OF SERVICE A copy of this application was served by U.S. mail to Defendants listed below in accordance with Supreme Court Rule 22.2 and 29.3, or 33.2. Megan E. Gailey Kelley M. Jancaitis Renaud Cook Drury Mesaros, PA Attorney for La Frontera Empact Attorney for Aurora Behavioral Heath 2800 North central avenue, Suite 1600 1 North Central Suite 900 Phoenix, AZ 85004-1047 Phoenix, AZ 85004-4417 Stephanie Elliott office of Attorney General Holden & Armer Holden State of Arizona Attorney for Department of Child Safety Quail Run Behavioral Health Department of Health Services 4505 East Chandler Boulevard, Suite 210 2005 N. Central Ave Phoenix, AZ 85048 Phoenix, AZ 85004 The Cohen Law Firm Debra Hill Attorney for Devereux San Manuel Foster Home P.O. Box 10056 1002 W. 3°4 Ave Phoenix, AZ 85064 San Manuel, AZ 85631 Burch & Cracchiolo P.A. Attorney for Maricopa Unified School District 1850 North Central Avenue, Suite 1700 Chandler Regional Medical Center Phoenix, AZ 85004 3800 N. Central Ave Phoenix, AZ 85012 The Doyle Firm P.C, Maricopa Integrated Health Systems Attorney for Tamla Alexander 2601 E Roosevelt St Day Starz Group Home Phoenix, AZ 85008 1313 E. Osborn Road Suite 220 Phoenix, AZ 85014 RESPECTFULLY submitted this 9 day of June 2025 Ly Ss oe ichard Rynn avid Rynn MathewRynn Marcella Rynn

Docket Entries

2025-06-16
Application (24A1242) granted by Justice Kagan extending the time to file until August 25, 2025.
2025-06-09
Application (24A1242) to extend the time to file a petition for a writ of certiorari from June 26, 2025 to August 25, 2025, submitted to Justice Kagan.

Attorneys

Richard Rynn, et al.
Richard Rynn — Petitioner
Richard Rynn — Petitioner