1:15-cv-00009 #4
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Transcript of 1:15-cv-00009 #4
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DISTRICT COURT OF GUAM
Mitchell F. Thompson, Esq.R. Todd Thompson, Esq.Thompson Gutierrez & Alcantara, P.C.238 Archbishop Flores Street, Suite 801Hagatna, Guam 96910Telephone: (671)472-2089Facsimile: (671) 477-5206
William D. Pesch, Esq.Guam Family Law Office
173 Aspinall Avenue, Suite 203Hagatna, Guam 96910Telephone: (671) 472-8472Facsimile: (671)477-5873
Attorneys for Plaintiffs Kathleen M. Aguero andLoretta M. Pangelinan
APR 13 2015
JEANNE (3. QUfMATAcimx. Of COURT
IN THE DISTRICT COURT OF GUAM
TERRITORY OF GUAM
KATHLEEN M. AGUERO and LORETTA
M. PANGELINAN,
Plaintiffs,
EDDIE BAZA CALVO in his official capacity asGovernor of Guam; and CAROLYN GARRIDOin her official capacity as Registrar in the OfficeofVital Statistics, Department of PublicHealth and Social Services,
Defendants.
CIVIL CASE NO.
PLAINTIFFS' CVLR 56(g)CONCISE STATEMENT OF
UNDISPUTED FACTS
Jjtil -ijTl
5-00009
Case 1:15-cv-00009 Document 4 Filed 04/13/15 Page 1 of 4
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Pursuant to CVLR 56(g), Plaintiffs submit the following Concise Statement of
Undisputed Facts material to the resolution of their SUMMARY JUDGMENT motion.
1. Loretta M. ("Lo") Pangelinan and Kathleen M. ("Kate") Aguero have been in a
committed, loving relationship for over nine years.1
2. Kate works for a local financial institution, and Lo runs her own maintenance
and cleaning company. Both Kate and Lo were born and raised on Guam.
3. They are hard working life-long Guam residents with deep roots in the local
community.4
4. Both Kate and Lo feel that it is important to give back to the community by
helping to raise and care for children in need on Guam.5
5. Both Plaintiffs are registered foster parents with Department of Public Health
and Social Services ("DPHSS"), and together they have cared for numerous foster children
through the years.6 They are currently caring for three foster children.7
6. Kate and Lo wish to marry each other because they love each other and are
committed to each other for life.8
7. They want to celebrate their mutual love through marriage, and they wish to
marry on Guam so that all their friends and family may attend and participate in their joyous
occasion.9
1 Declaration of Kathleen M. Aguero ("Aguero Decl."), at K1 (Apr. 13, 2015); Declaration ofLoretta M. Pangelinan ("Pangelinan Decl."), at 11 (Apr. 13, 2015).
2 Aguero Decl. atU2; Pangelinan Decl. atH2.3 Aguero Decl. atH3; Pangelinan Decl. atH3.4 Aguero Decl. atU4; Pangelinan Decl. atK4.5 Aguero Decl. at |̂ 5;Pangelinan Decl. atH5.6 Aguero Decl. atf 6; Pangelinan Decl. at^6.7 Aguero Decl. at il 6; Pangelinan Decl. at ^6.8 Aguero Decl. at^17; Pangelinan Decl. atU7.
1
Case 1:15-cv-00009 Document 4 Filed 04/13/15 Page 2 of 4
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8. While Kate and Lo could travel thousands of miles to get married in another
jurisdiction where same-sex marriage is recognized, such travel would be costly and difficult to
arrange, given their busy schedules and responsibilities.10
9. More importantly, they want to be able to invite their family and friends on
Guam to bear witness to their love and commitment for each other in the same way that
different-sex couples inGuam are able to do through marriage.''
10. Kate and Lo believe that they should not have to leave Guam to have their love
and commitment recognized.12
11. On April 8, 2015, Plaintiffs personally brought their application for a marriage
license to the Vital Statistics Office of the DPHSS, in Mangilao, the office that processes
marriage license applications on Guam.13 A true and correct copy of the Guam Marriage
License Application Materials Plaintiffs submitted to DPHSS (redacted for privacy concerns
pursuant to the Rules of this Court) is attached to the Aguero Decl. as "Exhibit A."
12. DPHSS officials refused to accept the application and handed the women two
documents, one, a 2009 opinion letter from the Acting Guam Attorney General and a copy of
certain provisions from Tile 10 of the Guam Code Annotated, including 10 G.C.A. § 3207(h),
with language indicating, "[mjarriage means the legal union of persons of the opposite sex."14
True and correct copies of these documents are attached to the Aguero Decl. as "Exhibit B" and
"Exhibit C."
Aguero Decl. at U8; Pangelinan Decl. at H8.10 Aguero Decl. at^ 9;Pangelinan Decl. at^ 9.1' Aguero Decl. atII10; Pangelinan Decl. atH10.12 Aguero Decl. at%11; Pangelinan Decl. atU11.13 Aguero Decl. at ^12; Pangelinan Decl. at 1112.14 Aguero Decl. at^ 13; Pangelinan Decl. at | 13.
Case 1:15-cv-00009 Document 4 Filed 04/13/15 Page 3 of 4
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13. At no time has any government official articulated any reason for failing to issue
a marriage license to Plaintiffs aside from their status as a same sex couple.
Respectfully submitted this 13th day ofApril, 2015.
P153026.RTT
THOMPSON GUTIERREZ & ALCANTARA, P.C.Attorneys for Plaintiffs Kathleen M. Aguero and
Loretta M. Pangelinan
By.RANDALL
rL=
Case 1:15-cv-00009 Document 4 Filed 04/13/15 Page 4 of 4